FCC Web Documents citing 25.112
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- was null and void. In light of our action in this Order, we dismiss that motion as moot. F. Transfer of Control Application NetSat 28 filed a transfer of control application on July 27, 1999. We dismissed that application as moot in the NetSat 28 Revocation Order. NetSat 28 now requests us to grant its transfer of control application. Section 25.112(b)(2) of the Commission's rules gives us authority to consider otherwise defective applications upon our own motion. In light of our waiver of NetSat 28's construction commencement milestone in this Order, we find that its transfer of control application should no longer be considered moot. Accordingly, under Section 25.112(b)(2), we will consider NetSat 28's transfer of control application, together with all
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- rules establish the requirements and conditions under which space and earth stations may be licensed. Need: To establish proper procedures for submitting the correct information for filing space and earth stations applications. Legal Basis: 47 USC 154, 301, 302, 303, 307, 309, 332. Section Number and Title: 25.110 Filing of applications, fees, and number of copies. 25.111 Additional information. 25.112 Defective applications. 25.113 Construction permits, station licenses, launch authority. 25.114 Applications for space station authorizations. 25.115 Application for earth station authorizations. 25.116 Amendments to applications. 25.117 Modification of station license. 25.118 Modifications not requiring prior authorization. 25.119 Assignment or transfer of control of station authorization. 25.120 Application for special temporary authorization. 25.121 License term and renewals. 25.130 Filing requirements for
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- Nor has Boeing specified the weight, mass and dimensions of the proposed NAS-only satellites or specified a power budget for such satellites, as required by Section 25.114(c)(12). Hence the NAS application does not ``constitute a concrete proposal'' and is not ``complete in all pertinent [technical] details,'' as required by Section 25.114(b). We therefore dismiss Boeing's NAS application pursuant to Section 25.112, which states that an application that is incomplete or does not substantially comply with the Commission's rules will be deemed unacceptable and will be returned to the applicant with a brief statement identifying the omissions. K. Petitions for Reconsideration of Ka-band Assignments PanAmSat Corporation and Hughes Electronics Corporation filed petitions for reconsideration of the Boeing NGSO License Order pertaining solely
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- Nor has Boeing specified the weight, mass and dimensions of the proposed NAS-only satellites or specified a power budget for such satellites, as required by Section 25.114(c)(12). Hence the NAS application does not ``constitute a concrete proposal'' and is not ``complete in all pertinent [technical] details,'' as required by Section 25.114(b). We therefore dismiss Boeing's NAS application pursuant to Section 25.112, which states that an application that is incomplete or does not substantially comply with the Commission's rules will be deemed unacceptable and will be returned to the applicant with a brief statement identifying the omissions. K. Petitions for Reconsideration of Ka-band Assignments PanAmSat Corporation and Hughes Electronics Corporation filed petitions for reconsideration of the Boeing NGSO License Order pertaining solely
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- maintained in orbit within 0.1 of its assigned orbital longitude. Section 25.210(j)(1), however, requires GSO satellites to be designed to be capable of being maintained in orbit within 0.05 of their assigned orbital longitudes. 47 C.F.R. 25.210(j)(1). Thus, Pegasus's proposed satellites do not comply with the Commission's rules. Moreover, Pegasus has not requested a waiver of Section 25.210(j)(1). Sections 25.112(a)(2) and (b)(1) of the Commission's rules state that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing unless the application is accompanied by a waiver request with reasons supporting the waiver. Accordingly, pursuant to the Commission's rules on delegated authority, 47 C.F.R. 0.261(a)(4), we find that Application
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- bands subject to 25.138 are 18.3-18.8 GHz (space-to-Earth), 19.7-20.2 GHz (space-to-Earth), 28.35-28.6 GHz (Earth-to-space), and 29.25-30.0 GHz (Earth-to-space). The frequency bands subject to 25.212(c) are 11.7-12.2 GHz (space-to-Earth), 14.0-14.5 GHz (Earth-to-space). See Two-Degree Spacing Order. Submission of the tabular results generated by the Sharp, Adjacent Satellite Interference Analysis (ASIA) program meet the requirement for this analysis. See 47 C.F.R. 25.112. PUBLIC NOTICE Federal Communications Commission 445 12th St., S.W. Washington, D.C. 20554 News Media Information 202 / 418-0500 Internet: http://www.fcc.gov TTY: 1-888-835-5322 $ 1 J K P ] h PNG r v "r9 I'6 dY͆aX ; Wh X,aXy]\\.W`hva6l! v"]Vat-``````"m(c)x
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- assigned orbital longitude. Section 25.210(j)(1), however, requires fixed satellite service satellites in geostationary-satellite orbit, such as SUPERBIRD-C, to be designed to be capable of being maintained in orbit within +/- 0.05 of their assigned orbital longitudes. Thus, Space Comm's proposed satellite does not comply with the Commission's rules. Moreover, Space Comm has not requested a waiver of Section 25.210(j)(1). Sections 25.112(a)(2) and (b)(1) of the Commission's rules state that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing unless the application is accompanied by a waiver request with reasons supporting the waiver. Accordingly, pursuant to the Commission's rules on delegated authority, 47 C.F.R. 0.261(a)(4), we find that this
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- with carriers, as well as the resulting interference potential, such that the Commission or other applicants in the future course of consideration of this application can complete the analysis. This information was not provided in the amendment. Consequently, MSV's amendment is defective under Section 25.114(b) of the Commission's rules, 47 C.F.R. 25.114(b) and must be returned pursuant to Section 25.112(a), 47 C.F.R. 25.112(a). Finally, MSV has recently requested clarification that the inclusion of another application in a March 26, 2004 Public Notice does not alter the Commission's first come, first served processing of applications for geostationary satellite orbit space stations. As MSV notes, the mere appearance of an application on a Public Notice as acceptable for filing does not
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- its GSO FSS network operating in the 37.5-42.0 GHz and 47.2-50.2 GHz frequency bands (V-Band) as required by Section 25.140(b)(2) of the Commission's rules. Consequently, the amendments as well as the underlying applications are defective with respect to the V-band portion of each GSO FSS application under Section 25.114(b) of the Commission's rules, and must be returned pursuant to Section 25.112(a). Accordingly, we dismiss, to the extent indicated, the following amendments and underlying applications: File No. Location/ Call Sign Proposed Spectrum Reason for Dismissal SAT-AMD-20040312-00031 SAT-LOA-19970904-00084 119 W.L. (S2255) Up-Link: 47.2-50.2 GHz (Gateway): V-Band Down-Link: 37.5-42 GHz (Gateway): V-Band Incomplete: Interference study not provided. 47 CFR 25.114(b), 25.140(b)(2) SAT-AMD-20040312-00032 SAT-LOA-19970904-00081 89 W.L. (S2256) Up-Link: 47.2-50.2 GHz (Gateway): V-Band Down-Link: 37.5-42
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- its GSO FSS network operating in the 37.5-42.0 GHz and 47.2-50.2 GHz frequency bands (V-Band) as required by Section 25.140(b)(2) of the Commission's rules. Consequently, the amendments as well as the underlying applications are defective with respect to the V-band portion of each GSO FSS application under Section 25.114(b) of the Commission's rules, and must be returned pursuant to Section 25.112(a). Accordingly, we dismiss, to the extent indicated, the following amendments and underlying applications: File No. Location/ Call Sign Proposed Spectrum Reason for Dismissal SAT-AMD-20040312-00031 SAT-LOA-19970904-00084 119 W.L. (S2255) Up-Link: 47.2-50.2 GHz (Gateway): V-Band Down-Link: 37.5-42 GHz (Gateway): V-Band Incomplete: Interference study not provided. 47 CFR 25.114(b), 25.140(b)(2) SAT-AMD-20040312-00032 SAT-LOA-19970904-00081 89 W.L. (S2256) Up-Link: 47.2-50.2 GHz (Gateway): V-Band Down-Link: 37.5-42
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- Orbital Debris Mitigation Statement. We discuss these in order. DigitalGlobe requests authority to operate each of its three new satellites and to expand the operations of its in-orbit satellite in a single data downlink channel occupying the 7997.5-8372.5 MHz band. The 7997.5-8025 MHz portion of the requested band is not allocated to EESS or to any Non-Government Satellite Services. Sections 25.112(a)(2) and (b)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(2) and (b)(1), state that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing unless the application is accompanied by a waiver request with reasons supporting the waiver. DigitalGlobe did not request a waiver of the Table of Allocations to
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- polarized operations, more detailed interference analyses for specific carriers than were originally submitted, and updated ownership and management information. For the reasons discussed below, we dismiss the May 2004 amendment as incomplete, without prejudice to refiling. Section 25.114(c) of the Commission's rules requires that all space station applicants submit all applicable items of information listed in its subsections. Additionally, Section 25.112(a)(1) of the Commission's rules provides that an application will be unacceptable for filing if it ``is defective with respect to completeness of answers to questions, informational showing, internal inconsistencies, execution, or other matters of a formal character. . . .'' In the First Space Station Reform Order, the Commission affirmed the policies embodied in these rules by continuing to require
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- will be dismissed as defective. Applications filed prior to this Public Notice that do not meet these requirements may be subject to a Commission letter requesting that the applicant provide supplemental information on the interference analysis. Failure to respond in a timely manner to the request for supplemental information may result in the dismissal of the application pursuant to Sections 25.112(c) and 25.152(b) of the Commission's rules. For further information, contact Robert Nelson at 202-418-2341. See e.g., Amendment of the Commission's Space Station Licensing Rules and Policies, First Report and Order and Further Notice of Proposed Rulemaking, IB Docket No. 02-34, 18 FCC Rcd 10760, 10852 (para. 244) (2003), (First Space Station Reform Order), citing Amendment of the Commission's Space Station
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- beam, which is listed in Schedule S of AfriSpace's application as Beam ID AU2. Section 25.210(i) of the Commission's rules requires fixed-satellite service space station antennas to be designed to provide a cross-polarization isolation of 30 dB. Thus, AfriSpace's proposed feeder links do not comply with the Commission's rules. Moreover, AfriSpace has not requested a waiver of Section 25.210(i). Sections 25.112(a)(2) and (b)(1) of the Commission's rules state that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing unless the application is accompanied by a waiver request with reasons supporting the waiver. Therefore, we find AfriSpace's application defective and return it without prejudice to refiling pursuant to Sections 25.112(a)(2)
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- W.L. orbital location in the same frequency bands as Star One C2, i.e., the 3700-4200, 5925-6425, 11700-12200, 14000-14500 MHz frequency bands. Star One's interference analysis did not include any reference to this satellite nor did Star One seek a waiver of providing a 2-degree interference analysis with respect to authorized space stations within two degrees of the proposed satellite. Sections 25.112(a)(2) and (b)(1) of the Commission's rules state that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing unless the application is accompanied by a waiver request with reasons supporting the waiver. Thus, Star One's petition is inadequate and not acceptable for filing. Consequently, Star One S.A.'s application in
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- 6680-6700.67 MHz bands for augmentation data. In addition, Lockheed is directed to file amendments to its applications addressing the issues discussed above by July 23, 2004. If Lockheed fails to file the requested amendments by July 23, 2004, Lockheed's applications, File Nos. SAT-LOA-19990427-00045, SAT-LOA-19990427-00049, SAT-LOA-19990427-00050, as amended by File Nos. SAT-AMD-20030730-00149, SAT-AMD-20030730-00152, SAT-AMD-20030730-00153, respectively, may be dismissed pursuant to sections 25.112(c) and 25.152(b) of the Commission's rules. Sincerely, Thomas S. Tycz Chief Satellite Division 47 C.F.R. 25.114(c)(5). See July 2003 amendments at 34, Revised Table 4.1-1: Requested Frequency Bands. 47 C.F.R. 25.202(g). See, e.g., Amendment of the Commission's Rules with Regard to the 3650 - 3700 MHz Government Transfer Band, ET Docket No. 98-237, First Report and Order and Second Notice
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- Frequency Bands; Allocation of Spectrum to Upgrade Fixed and Mobile Allocations in the 40.5-42.5 GHz Frequency Band; Allocation of Spectrum in the 46.9-47.0 GHz Frequency Band for Wireless Services; and Allocation of Spectrum in the 37.0-38.0 GHz and 40.0-40.5 GHz for Government Operations, Second Report and Order, IB Docket No. 97-95, FCC 03-296 (released Dec. 5, 2003). 47 C.F.R. 25.112(a)(2). Amendment of the Commission's Space Station Licensing Rules and Policies, First Report and Order, IB Docket No. 02-34, 18 FCC Rcd 10760, 10852 (para. 244) (2003) (First Space Station Reform Order) (petitions for reconsideration pending); Applications of PanAmSat Licensee Corp. For Authority to Construct, Launch, and Operate a Hybrid Satellite System in its Separate International Communications Satellite System, Order on
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- amendment to its application by September 28, 2004. The interference analysis need only address the additional 50 megahertz of spectrum for feeder links in the extended Ku-band frequencies (10.70-10.75 GHz (downlink) and 13.15-13.20 GHz (uplink)) requested in MSV's February 9, 2004 Amendment. If the information is not provided by September 28, 2004 the application will be dismissed pursuant to Sections 25.112(c) and 25.152(b) of the Commission's rules. 13. As a result of our action here, under the Commission's first-come-first served licensing policy, MSV is now first-in-line with respect to the entire 300 megahertz of frequency it has requested for its operations at the 101 W.L. orbital location. We note that EchoStar has filed a petition for reconsideration of the EchoStar Dismissal
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- transponders KuX- 17 and KuX-18 will operate in the bands 10.9515-10.!2785 GHz and 10.9615-10.9885 GHz, respectively." Moreover, this Channel Frequency Plan as outlined, shows no transponders operating in the 10.7-10.75 GHz band as requested in both Echostar's Application and Amendment. Further, in Section II of the Amendment, where EchoStar describes the proposed changes to the Application, it 47 C.F.R 0 25.112(a). 5 Amendment of the Commission's Space Station Licensing Rules and Policies, First Report and Order and Further Notice of Proposed Rulemaking, IB Docket No. 02-34,18 FCC Rcd 10760,10852 (para. 244) (2003) (First Space Station Reform Order). 6 First Space Station Reform Order, 18 FCC Rcd at 10852 (para. 244), citing Space Station Reform 1 NPRM, 17 FCC Rcd at 3875
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- In November 2003, EchoStar filed an amendment to its application outlining two system upgrades. On February 9, 2004, the Division dismissed EchoStar's application. The Division found that EchoStar's amended application was not in compliance with Section 25.114(c) of the Commission's rules, which requires all space station applicants to submit all applicable items of information listed in its subsections, and Section 25.112(a)(1) of the Commission's rules, which provides that an application will be unacceptable for filing if ``the application is defective with respect to completeness of answers to questions, informational showings, internal inconsistencies, execution, or other matters of a formal character.'' Among other things, Section 25.114(c)(4) requires that each application contain information identifying which antenna beams are connected or switchable to each
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- foreign satellites as U.S. satellite license applicants provide for proposed U.S. satellites. In its petition, Space Comm does not submit all of the technical information required by Sections 25.114 (c)(5), (c)(8), (c)(10), (c)(11), (c)(17) of the Commission's rules, 47 C.F.R. 25.114. Consequently, the application is defective under Section 25.114 (b) of the rules and must be returned pursuant to Section 25.112 (a). Accordingly, pursuant to the Commission's rules on delegated authority, 47 C.F.R. 0.261(a)(4), we find that this petition, File No. SAT-PPL-20040120-00006, Call Sign S2614, is defective. We therefore dismiss this application without prejudice to refiling. Sincerely, Thomas S. Tycz Chief Satellite Division cc: Ms. Laura B. Sherman 3335 N. Randolph Street Arlington, VA 22207 U.S.A. 47 C.F.R. 25.114(c).
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- Items E33/E34 for the proposed antenna 75QS; and Items E36-E40 and Items E56-E60 for all proposed antennas in the Schedule B of FCC Form 312; and (3) PanAmSat failed to completely provide a series of antenna gain plots as required under 47 C.F.R. 25.132(b) for the proposed antennas: .75m, .96m, 1.0 m, and 1.2 m. Accordingly, pursuant to Sections 25.112(a)(1), and 0.261, we dismiss your application, as amended, as defective, without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 GHz and 14.00-14.50 GHz. 47 C.F.R. 25.112(a)(1) and 0.261.. See also Echostar Satellite LLC, Order on Reconsideration, DA 04-4056 (released December 27, 2004). If Panamsat refiles an application for a new license
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- application to register a C-Band Receive-Only Earth Station. For the reasons discussed below, we dismiss the application as defective, without prejudice to refiling. A review of the application has revealed that you did not submit the Frequency Coordination and Interference Analysis Report. Also, you did not submit required information on FCC Form 312 - Schedule B. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, we dismiss your application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division If WRPI-FM refiles an application identical to the one dismissed, with the exception of supplying the missing information, it need not pay an application fee. See 47 C.F.R. 1.1109(d). 47 C.F.R. 25.112(a)(1). See also Echostar
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 05-1326 May 12, 2005 Landal G Lowery Lowery Satellite Services, Inc. 45 Drennen Road Orlando, FL 32806 Re: Call Sign: E050102 SES-LIC-20050412-00428 Dear Mr. Lowery: On April 12, 2005, Lowery Satellite Services, Inc. filed the above-captioned application for authority to operate a Conventional Ku-Band Temporary Fixed Earth Station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies in the power levels provided. Specifically, the Equivalent Isotropically Radiated Power (EIRP) density you provide in the application does not agree with that derived from the accompanying engineering data. In Schedule B, Item E49, you indicate that the maximum EIRP Density per
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- rules provides that ``[A]pplications to license individual earth station operating in the 20/30 GHz band shall be filed on FCC Form 312, Main Form and Schedule B, and shall also include the information describe in Section 25.138.'' A review of the application has revealed that EchoStar failed to submit the radiation patterns required by Section 25.138(d). Accordingly, pursuant to Section 25.112(a)(1) and Section 0.261 of the Commission's rules, EchoStar's application IS DISMISSED as defective, without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division 18.6 GHz-18.8 GHz, 19.7 GHz-20.2 GHz and 28.4 GHz-28.6 GHz, 29.5 GHz-30.0 GHz. 47 C.F.R. 25.112(a)(1) and 0.261. See also Echostar Satellite LLC, Order on Reconsideration, DA 04-4056 (released December 27, 2004).
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- Form and Schedule B, and shall also include the information describe in Section 25.138.'' A review of the application has revealed that EchoStar failed to submit the radiation patterns required by Section 25.138(d). In addition, EchoStar failed to provide the total input power at antenna flange information in the application Form 312, Schedule B, Item E38. Accordingly, pursuant to Section 25.112(a)(1) and Section 0.261 of the Commission's rules, EchoStar's application IS DISMISSED as defective, without prejudice to refiling. Sincerely, Scott Kotler Chief, Systems Analysis Branch Satellite Division 18.6 GHz-18.8 GHz, 19.7 GHz-20.2 GHz and 28.4 GHz-28.6 GHz, 29.5 GHz-30.0 GHz. 47 C.F.R. 25.112(a)(1) and 0.261. See also Echostar Satellite LLC, Order on Reconsideration, DA 04-4056 (released December 27, 2004). If
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- E7818 SES-MFS-20050324-00342 Dear Mr. Miller: On March 24, 2005, Schlumberger Technology Corporation (``Schlumberger'') filed the above-captioned application to modify its existing Conventional Ku-Band license to add new antennas to operate in the Extended Ku-Band as well as portions of the Conventional Ku-Band. This modification application also requested authority to add ANIK-F2 and AMAZONAS-1 as Points of Communication. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies in the power levels provided and incompleteness in regard to Points of Communication for certain frequency bands. Specifically, the Equivalent Isotropically Radiated Power (EIRP) density you provide in the application does not agree with that derived from the accompanying engineering data. In
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- 12, 2005 Mr. John W. Zucker Esq. American Broadcasting Companies, Inc. 77 West 66th Street, 16th Floor New York, NY 10023-6229 Re: Call Sign: E050106 SES-LIC-20050414-00454 Dear Mr. Zucker: On April 14, 2005, American Broadcasting Companies, Inc. filed the above-captioned application for authority to operate a Temporary Fixed Earth Station in the Conventional Ku-Band and Extended Ku-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective for failure to identify the specific points of communication for a non-conforming antenna in the conventional Ku-Band and for failure to identify specific points of communication in the extended Ku-band. In Schedule B, you indicate the Permitted List as the point of communication and the antenna
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- rules provides that ``[A]pplications to license individual earth station operating in the 20/30 GHz band shall be filed on FCC Form 312, Main Form and Schedule B, and shall also include the information describe in Section 25.138.'' A review of the application has revealed that EchoStar failed to submit the radiation patterns required by Section 25.138(d). Accordingly, pursuant to Section 25.112(a)(1) and Section 0.261 of the Commission's rules, EchoStar's application, as amended, IS DISMISSED as defective, without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division 18.6 GHz-18.8 GHz, 19.7 GHz-20.2 GHz and 28.4 GHz-28.6 GHz, 29.5 GHz-30.0 GHz. The amendment requests authority to add AMC-16 at 85 W.L. and at 97 W.L. as Points
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- refiling. A review of the application has revealed the submitted Frequency Coordination and Interference Analysis Report is dated September 2004. Section 25.115(C)(iii) of the Commission's rules requires re-coordination if the Schedule B is not filed within six months. In addition, as of November 5, 2004, all filings on Form 312 must be submitted electronically through IBFS. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's Rules, we dismiss your application, without prejudice. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division If Progressive Rural Telephone Coop., Inc refiles an application identical to the one dismissed, with the exception of supplying the missing information, it need not pay an application fee. See 47 C.F.R. 1.1109(d). 47 C.F.R. 25.115(C)(iii). Amendment of the
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- reasons discussed below, we dismiss the application as defective, without prejudice to refiling. A review of the application reveals that you did not submit the full technical information, similar to the information which is filed in Schedule B, for the Earth Station as required by Section 25.120(a) of the Commission's rules. Therefore, your application is incomplete. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, we dismiss your application as defective without prejudice. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division If Cambridge Communication Systems, Inc, refiles an application identical to the one dismissed, with the exception of supplying the missing information, it need not pay an application fee. See 47 C.F.R. 1.1109(d). 47 C.F.R. 25.112(a)(1). See also
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- add multiple 1.2 meter and l.5 meter remote antennas to a Fixed Satellite Service earth station in the 11.7-12.2 and 14.0-14.5 GHz bands. A review of the application reveals that you did not provide any justification supporting your STA request. In addition, your application does not specify the time period sought. Therefore, your application is incomplete. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, we dismiss your application as defective without prejudice. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 47 C.F.R. 25.112(a)(1). See also Echostar Satellite LLC, Order on Reconsideration, DA 04-4056 (released December 27, 2004). Federal Communications Commission Washington, D.C. 20554 $ xOF-Ͷʢv !*"D D FAZH ʳz ;ͦ nL8P:Ƿ (R)W7ڏ ?- V` mI-}Q7:?EgQnv
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- specified as 0.0 for the 45M0G7W emission. We also note that the average EIRP Density per Carrier is computed to be 31.49 dBW/4 kHz by considering the 72.0 dBW EIRP per carrier specified in item E48, resulting in an internal inconsistency in the application. Given this inconsistency, we cannot determine the actual emission power in use. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss your application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 14.0-14.5 GHz band. 47 C.F.R. Section 25.112(a)(1). See also Echostar Satellite LLC, Order on Reconsideration,
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- LLP 1776 K-Street, N.W. Washington, DC 20006 Re: Iridium Satellite LLC (``Iridium'') Call Sign: E960132 SES-MOD-20050408-00401 Iridium Carrier Services LLC (``Iridium'') Call Sign: E960622 SES-MOD-20050408-00402 Dear Ms. Hindin: On April 8, 2005, Iridium filed modification applications SES-MOD-20050408-00401 and SES-MOD-20050408-00402 to add a repeater exchange system for its licensed Mobile-Satellite Service (``MSS'') earth stations E960132 and E960622 respectively. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective because of internal inconsistencies provided. Specifically, there are inconsistencies for the Equivalent Isotropic Radiated Power (EIRP) provided in the applications when compared with that derived from other data in the applications. In Form 312 Schedule B of both applications, you indicate that the Total EIRP for All
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 05-1582 June 3, 2005 Thomas P. Van Wazer Sidley Austin Brown & Wood LLP 1501 K Street NW Washington, DC 20005 Re: Call Sign: E050144 SES-LIC-20050519-00623 Dear Mr. Van Wazer: On May 19, 2005, WBNS-TV, Inc. filed the above-captioned application for a Temporary-Fixed Ku-Band Earth Station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies in the power levels provided. Specifically, there are inconsistencies for the Equivalent Isotropic Radiated Power (EIRP) provided in the application when compared with that derived from other data in the application. In Form 312 Schedule B, you indicate that the Total EIRP
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- Carnell: On May 16, 2005, Orbimage, Inc. (``Orbimage'') filed the above-captioned applications to modify its existing Earth Stations in Dulles, VA and Barrow, AK to add OrbView-5 as a point of communication to transmit in the S-Band and receive in the X-Band. On May 27, 2005, Orbimage amended the applications to revise Earth Station Antenna Elevation parameters. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications, as amended, as defective because of internal inconsistencies in the power levels provided. Specifically, there are inconsistencies for the Equivalent Isotropic Radiated Power (EIRP) provided in the applications when compared with that derived from other data in the applications. In Item E49, you indicate that the Maximum EIRP
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- E050098 File No. SES-LIC-20050407-00404 Call Sign: E050099 File No. SES-LIC-20050407-00408 Call Sign: E050100 File No. SES-LIC-20050407-00409 Dear Mr. Kozlowski: On April 7, 2005, Globalstar USA, LLC (``Globalstar'') filed the above-captioned applications to seek earth station feeder link authority for its Big LEO Mobile Satellite Service (MSS) system in Sebring, Florida. Globalstar requested consolidated treatment of these applications. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss all four applications as defective, without prejudice to refiling, because of internal inconsistencies provided within each application. Under Section 2.202(g) of the Commission's Rules, the emission designator for an ``unmodulated CW'' emission that you listed in all four applications in Item E50 of Form 312, Schedule B should be ``N0N'' for
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- F.2d 1166 (D.C. Cir. 1990) (Northeast Cellular). See Northeast Cellular, 897 F.2d at 1166. WAIT Radio, 418 F.2d at 1159. See also Onsat Petition for Waiver to Permit Routine Licensing of 3.7 Meter Transmit and Receive Stations at C-Band, Order, 15 FCC Rcd 24488, 24490 (para. 5) (Int'l. Bur., 2000). See WAIT Radio, 418 F.2d at 1157. 47 C.F.R. 25.112. See EchoStar Satellite, LLC, Order on Reconsideration, DA 04-4056, at para. 12 (Int'l Bur., 2004), citing Salzer v. FCC, 778 F.2d 869, 877 (D.C. Cir. 1985) ("[I]t is not the agency's task to select for an applicant the type of operation that will minimize impermissible interference."). 3.7-4.2 GHz and 5.925-6.425 GHz. 11.7-12.2 GHZ and 14.0-14.5 GHz. Federal Communications Commission DA
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit \ \ \ '' @8} \ orporation filed the above-captioned application for authority to modify a C-Band earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies. Specifically, in Form 312 Schedule B, you indicate that the Total Equivalent Isotropic Radiated Power (EIRP) for All Carriers is 43.4 dBW for Antenna ID 1 and 54.0 dBW for Antenna ID 2 (Item E40). These values are inconsistent with the computed Total
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- 05-1997 July 12, 2005 Mr. Les Shutter National Digital Television Center, Inc. 4100 East Dry Creek Road Littleton, CO 80125 Re: Call Sign: E050197 File No. SES-LIC-20050702-00865 Dear Mr. Shutter: On July 2, 2005, National Digital Television Center, Inc. filed the above-captioned application for authority to operate a Fixed Earth Station in the Extended C-Band and L-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, we dismiss this application as defective without prejudice to refiling for failure to identify the specific points of communication for the use of the Extended C-band and L-band frequencies. In Schedule B, you identify ALSAT as the only point of communication. Fixed-satellite service earth stations which are two-degree compliant and operating in the 3700-4200 MHz, 5925-6425
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- include certifications from adjacent operators of all satellites located within 6 degrees of your target satellite agreeing to your proposed operations. Alternatively, your application may request ALSAT as Points of Communication so long as you include a 2 degree compliance demonstration as specified in Section 25.209(f) of the Commission's rules and reduce your input power density. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss your application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division 5925-6425 MHz band. If Scientific Games Racing, L.L.C., re-files an application identical to the one dismissed, with
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- Drive PO Box 7018 Bedminster, NJ 07921-7018 Re: Call Sign E980250 File No. SES-STA-20050719-00947 Dear Mr. Edinger: On July 19, 2005, Loral Skynet Network Services, Inc. (Debtor-in-Possession) (Loral Skynet) filed the above-captioned application for Special Temporary Authority to operate a Fixed Earth Station in the conventional C-Band with the Telstar 18 satellite, which is licensed by Tonga. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective without prejudice to refiling for failure to submit an ECO-SAT analysis for Kazakhstan. Since the licensing administration of the satellite is not a member of the World Trade Organization (WTO), an ECO-SAT analysis is required for all route markets that are not WTO members pursuant to
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- 800 Washington, DC 20036 Re: Call Sign: E000152 File No.: SES-MOD-20050816-01107 Dear Mr. D'Uva: On August 16, 2005, New Skies Networks, Inc. (New Skies) filed the above-captioned application to modify an existing earth station license to add a 6.5 meter antenna that will use the conventional C-Band to communicate with the INTELSAT AOR satellite at 307o E.L. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies. Specifically, in Form 312 Schedule B, in Item E49, you indicate that the Maximum EIRP Density per Carrier is 42.7 dBW/4 kHz. This value is less than and therefore inconsistent with the average value of 60.93 dBW/4 kHz as derived from the values
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- E980250 File No.: SES-MOD-20050727-00991 Dear Mr. Edinger: On July 27, 2005, Loral Skynet Network Services, Inc. (Debtor-in-Possession) (Loral Skynet) filed the above-captioned application to add, among other things, the Extended-C-Band frequencies to its licensed earth station in Kapolei, Hawaii (E980250). This earth station is authorized to communicate with the Telstar 18 satellite, which is licensed by Tonga. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective, without prejudice to refiling, due to internal inconsistencies. In answering question 27 of the Main Form of Form 312, which relates to the purpose of the application, you indicate that the application is intended to add frequencies to an existing license. In Schedule B of your
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- the above-captioned application to modify its existing conventional Ku-Band license to add, among other things, the SN-4 (Spacenet 4) satellite at 172o E.L., AMC-23 satellite at 172o E.L., INTELSAT 605 satellite at 174o E.L., NSS-5 satellite at 177o W.L., and AMC-6 satellite at 72o W.L., as new Points of Communication using the conventional Ku-Band and extended Ku-Bands. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application in part as defective because of inconsistencies in frequency bands for certain Points of Communication. Your application requests authority for this earth station to receive transmissions in the 12.2-12.75 GHz band from NSS-5. NSS-5, however, is not capable of transmitting in the 12.2-12.5 GHz band. Similarly, you request
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- 05-2487 September 21, 2005 Mr. Mike Meinhardt Meinhardt Productions, Inc. 793 Windemere Lane Lake Zurich, IL 60647 Re: Call Sign: E050247 File No.: SES-LIC-20050822-01121 Dear Mr. Meinhardt: On August 22, 2005, Meinhardt Productions, Inc. filed the above-captioned application for authority to operate a temporary-fixed earth station in the conventional Ku-Band that would communicate with Permitted List satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies. Specifically, in Form 312 Schedule B, you indicate that the Maximum EIRP Density per Carrier is 13.9 dBW/4 kHz for emission designators 9M00G7W, 6M70G7W, 1M70G7W, 72K0G7D, 2M40G7D, and 143KG7D. This value is less than and therefore inconsistent with the average values of 29.88,
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 05-2536 September 28, 2005 Rossa Isme Prime Management 5584 Arnold Palmer Drive Orlando, FL 32811 Re: Call Sign: E050264 File No.: SES-LIC-20050919-01276 Dear Rossa Isme: On September 19, 2005, Alpha Broadcasting, Inc. (Alpha Broadcasting) filed the above-captioned application for a Fixed Ku-Band Transmit/Receive VSAT Network Earth Station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice. In the application, Alpha Broadcasting did not provide information in response to items E28-E42 (Antenna Table), E43-E50 (Frequency Table) or E51-E60 (Frequency Coordination Table) on Schedule B of FCC Form 312. In addition, the radiation hazard study as described in question 28 of FCC Form
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- A Beizer Esq Gray Television Licensee, Inc. 1750 K Street, NW Suite 1200 Washington, DC 20006 Re: Call Sign: E050262 File No.: SES-LIC-20050919-01272 Dear Mr. Beizer: On September 19, 2005, Gray Television Licensee, Inc. filed the above-captioned application for authority to operate a temporary-fixed earth station in the conventional Ku-Band that would communicate with Permitted List satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies. Specifically, in Form 312 Schedule B, you indicate that the Maximum EIRP Density per Carrier is 24.49 dBW/4 kHz for emission designators 6M00D7W and 7M00D7W. This value is less than and therefore inconsistent with the average values of 29.44 and 29.46 dBW/4 kHz,
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- Gray Cary US LLP 1200 Nineteenth Street, N.W. Washington, DC 20036 Re: Call Sign: E000669 File No.: SES-MOD-20050824-01163 Dear Mr. Tauber: On August 22, 2005, TeleCommunication Systems filed the above-captioned application for authority to modify its existing VSAT license to add emission designators and remote terminals in the conventional Ku-Band that would communicate with four additional satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective because of internal inconsistencies. Specifically, in Form 312 Schedule B, you indicate that the Total Equivalent Isotropically Radiated Power (EIRP) for All Carriers is 53.0 dBW (Item E40). This value is inconsistent with the computed Total EIRP for All Carriers derived from the ``25 Watts Maximum Total
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- 051005-01374 Call Sign: E970271 File No.: SES-MOD-20051005-01375 Call Sign: E970270 File No.: SES-MOD-20051005-01376 Dear Mr. Bender: On October 5, 2005, Space Imaging LLC (Space Imaging) filed the above-captioned applications to modify its existing license to reduce the receive-only elevation angle in the 8025-8400 MHz band of this earth station from 5 degrees to 0.0 degrees. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss these applications as incomplete. Section 25.115(b) of the Commission's rules, 47 C.F.R. 25.115(b), requires that applications for receive-only earth stations shall be filed on FCC Form 312 and include a Schedule B. Your modification applications did not include a Schedule B. Furthermore, your applications did not include a request for a
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- for authority to launch and operate a GSO space tat ion.^ Accordingly, pursuant to the Commission's rules on delegated authority, 47 C.F.R. 4 0.26 1 (a)(4), we find that this application, File No. SAT-LOA-2004 1029-00205, SAT-AMD-2004 1202-002 15, is defective under Section 25.1 14(b) of the Commission's rules, 47 C.F.R. 4 25.1 14(b), and must be returned pursuant to Section 25.112(a) of the rules, 47 C.F.R. $25.112(a). We therefore dismiss the application without prejudice to refilling. If SkyTerra re files an application identical to the one dismissed, with the exception of supplying the missing information, it need not pay an application fee for one of the space stations. See 47 C.F.R. 4 1.1 109(d). Sincerely, Fern J. Jarmulnek Deputy Chief Satellite
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit 8 8 ` ` d ` d ` ` ` , On October 14, 2005, SES Americom, Inc. (SES Americom) filed the above-captioned applications for two 13.1 meter antenna earth stations for feeder links in the Broadcast Satellite Service (BSS) using the 12.2-12.7 GHz (receive) and 17.3-17.8 GHz (transmit) bands. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective. Specifically, Form 312 Schedule B of both applications, indicates that the only Points of Communication for the proposed earth stations are ALSAT-designated satellites. Only those fixed-satellite service earth stations that are two-degree compliant and that operate in the 3700-4200 MHz, 5925-6425 MHz, 11700-12200 MHz, or 14000-14500 MHz
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- will operate near the locations specified in Section 25.222(e). We also note that your application indicates that the ESV will communicate with the SATMEX-5 at 119 E.L. The SATMEX-5 satellite is operating at 116.8 W.L. Thus, any refiling should clarify whether C5 Communications intends to use the SATMEX-5 satellite at 116.8 W.L. or an alternate satellite. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss C5 Communications application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 10.95-11.2, 11.45-11.7, 11.7-12.2, and 14.0-14.5 GHz bands See 47 C.F.R. 25.222 47 C.F.R.
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- 0.75 meter antenna. We also find analogous inconsistencies for the 0.90 and 0.96 meter antennas, where, respectively, for the same emission designator, TSI specifies 50.6 and 51.7 dBW as the Maximum EIRP per Carrier, and 44.1 and 45.2 dBW as the Total EIRP for All Carriers. Given these inconsistencies, we cannot determine the proposed emission power. Accordingly, pursuant to Sections 25.112(a)(1) and 0.261, we dismiss TSI's modification application, as amended, as defective, without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 47 C.F.R. 25.112(a)(1) and 0.261. See also Echostar Satellite LLC, Order on Reconsideration, DA 04-4056 (released December 27, 2004). Federal Communications Commission DA 05-2924 Federal Communications Commission Washington, D.C. 20554 & +
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- Hough Vyvx, LLC One Technology Center Tulsa, OK 74103 Re: Call Sign: E000358 File No.: SES-MOD-20051020-01431 Dear Ms. Hough: On October 20, 2005, Vyvx, LLC (Vyvx) filed the above-captioned application to add a 4.5 meter antenna to Earth Station Call Sign E000358 operating in the Fixed Satellite Service (FSS) using the 10.95-11.2, 11.45-12.2, and 14.0-14.5 GHz bands. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective. Specifically, Vyvx indicates in Form 312 Schedule B of the application that the only Points of Communication for the proposed antenna are ALSAT-designated satellites. Only those fixed-satellite service earth stations that are two-degree compliant and that operate in the 3700-4200 MHz, 5925-6425 MHz, 11.7-12.2 GHz, or 14.0-14.5
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- proposed DIRECTV 9S Geostationary Satellite Orbit (GSO) satellite, which is to be located at the nominal 101 W.L. orbital location. For the reasons cited below, we dismiss the application as defective, without prejudice to refiling. Section 25.114(c) of the Commission's rules requires all space station applicants to submit all applicable items of information listed in its subsections. In addition, Section 25.112(a)(1) of the Commission's rules provides that an application will be unacceptable for filing if ``the application is defective with respect to completeness of answers to questions, informational showings, internal inconsistencies, execution, or other matters of a formal character.'' We find that DIRECTV's application contains inconsistencies regarding the effective isotropically radiated power (EIRP) values of the space station and the space
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- South National Ave. Springfield, MO 65804 Re: Call Sign: E050317 File No.: SES-LIC-20051028-01489 Dear Mr. Diamond: On October 28, 2005, Board of Governors of Missouri State University (Missouri State University) filed the above-captioned application for a license for a 6.1 meter receive-only earth station in the Ku-Band that will communicate with the AMC-3 satellite at 87o W.L. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective without prejudice to refiling. Specifically, in the 312 Main Form, in response to question 24 regarding the frequency bands, this application indicates that only the 12/14 GHz bands (Ku Band) will be used. In Schedule B of Form 312, the application does not the include required information
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- days to include the following in regard to TERRA and AQUA: (1) All the information specified in Section 25.114(d) of the Commission's rules, 47 C.F.R. 25.114(d). (2) A Schedule S, as required by Section 25.114(a) of the Commission's rules, 47 C.F.R. 25.114(a). We have not received the information specified in our September 27 letter. Accordingly, pursuant to Sections 25.112(c) and 0.261 of the Commissions rules, we dismiss your application without prejudice for failure to provide the above requested information. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau See Letter from Scott A. Kotler, Chief Systems Analysis Branch, FCC to Otis B. Brown, Dean, Rosenstiel School of Marine & Atmospheric Sciences, University of Miami (dated September
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- Frank R. Jazzo, Esq. Fletcher, Heald & Hildreth,PLC 1300 N. 17th Street 11th Floor Arlington, VA 22209 Re: Call Sign: E050339 File No.: SES-LIC-20051115-01581 Dear Mr. Jazzo: On November 15, 2005, Vision Accomplished, Inc. d/b/a Transvision International (Transvision International) filed an application to operate a new temporary-fixed Conventional C-Band earth station that will communicate with ALSAT-designated satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective. We note that on FCC Form 312 Schedule B, the application indicates that the Maximum EIRP Density per Carrier is 45.40 dBW/4 kHz for emission designator 36M0F9F and the Maximum Transmit Antenna Gain is 45.9 dBi. Using this information, we compute a maximum input power density into
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- 8bit DA 05-3191 December 15, 2005 Mrs. Kinga A. Fauser Peak Uplink, Inc. 458 Silverhorn Drive New Castle, CO 81647-9468 Re: Call Sign: E050334 File No.: SES-LIC-20051111-01559 Dear Mrs. Fauser: On November 11, 2005, Peak Uplink, Inc. (Peak Uplink) filed the above-captioned application to operate a temporary-fixed Conventional Ku-Band earth station that will communicate with ALSAT-designated satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective. We note that on Form 312 Schedule B, the application indicates that the Maximum EIRP Density per Carrier is 41.02 dBW/4 kHz for emission designator 36M0G7W and the Maximum Transmit Antenna Gain is 45 dBi. Using this information, we compute a maximum input power density into the
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- Call Sign: E050287 File No.: SES-LIC-20051104-01518 Call Sign: E050288 File No.: SES-LIC-20051104-01517 Dear Mr. Barker: On November 4, 2005, SES Americom, Inc. (SES Americom) filed the above-captioned applications for two earth stations to conduct feeder link operations in the Broadcast Satellite Service (BSS) using the 12.2-12.7 GHz (receive) and 17.3-17.8 GHz (transmit) bands using 13.1 meter antennas. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective. In question 43 of each application's FCC 312 Main Form, the point of communication noted is AMC-14. This is inconsistent with the information provided in Item E21 of Schedule B of the application (Points of Communication) which lists the EchoStar 5 satellite at the 129 W.L.
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- nominal 110 W.L. orbital location. For the reasons cited below, we dismiss the application, filed on November 25, 2005, and a December 13, 2005 letter relating to the application, as defective, without prejudice to refiling. Section 25.114(c) of the Commission's rules requires all space station applicants to submit all applicable items of information listed in its subsections. In addition, Section 25.112(a)(1) of the Commission's rules provides that an application will be unacceptable for filing if ``the application is defective with respect to completeness of answers to questions, informational showings, internal inconsistencies, execution, or other matters of a formal character.'' On December 13, 2005, you submitted a letter that informs the Commission that EchoStar's launch date is set for on or about
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- these satellites -- which it calls SkyTerra 1 and SkyTerra 2 -- at the 95 W.L. orbital location. For the reasons discussed below, we dismiss both applications as defective, without prejudice to refiling. Section 25.114(c) of the Commission's rules, 47 C.F.R. 25.114(c), requires all space station applicants to submit all applicable items of information listed in its subsections. Sections 25.112(a)(2) and (b)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(2) and (b)(1), state that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing unless the application is accompanied by a waiver request with reasons supporting the waiver. In the Space Station Reform Order, the Commission affirmed the policies
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- application, SES- MOD-20041115-01684, to add a repeater exchange system to its licensed Mobile-Satellite Service ("MSS") earth station E960622. Both earth stations are licensed to operate in the 1616-1626.5 MHz band ("L-band") and to communicate with the Iridium satellite system. The modifications are intended to enhance service where there is no line-of-sight between the satellite and user handset. Pursuant to Section 25.112(a)( I) of the Commission's rules, 47 C.F.R. 9 25.1 12(a)( 1). we dismiss both applications as defective because of internal inconsistencies in the power levels provided. Specifically. the Equivalent Isotropically Radiated Power (EIRP) you provide in the application does not agree with that derived from the accompanying engineering data. In Schedule B, you indicate that the maximum EIRP per carrier
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- Governing the Licensing of, and Spectrum Usage of Satellite Network Earth Stations and Space Stations, IB Docket Nos. 02-34 and 00-248. 19 FCC Rcd 19564 (Int'l. Bur., 2004). The April 14 application was filed by paper rather than electronically. . If you need any technical assistance with IBFS, please contact the IBFS help desk at 202-418-2222. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss this application without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau If Comcast of Massachusetts III, Inc. refiles an application identical to the one dismissed, it need not pay an
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- May 16, 2006 Mr. John Becci John Staurulakis, Inc. 7852 Walker Drive, Suite 200 Greenbelt, MD 20770 Re: Call Sign: E060105 File No.: SES-REG-20060331-00552 Dear Mr. Becci: On March 31, 2006, NTELOS Media, Inc. (NTELOS) filed the above-captioned application to register a Receive-Only Fixed-Satellite Service (FSS) earth station proposing to communicate with ALSAT-designated satellites in the C-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective, without prejudice to refiling. A review of the application reveals that the Frequency Coordination and Interference Analysis Report, as submitted, does not fulfill the requirement(s) of Section 25.203(c) of the Commission's rules, 47 C.F.R. 25.203(c), because the report does not demonstrate that the earth station was coordinated
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- Mr. David S. Fruitman Calhoun Satellite Communications, Inc. 20261 N.E. 15th Court Miami, FL 33179 Re: Call Sign: E060143 File No.: SES-LIC-20060420-00692 Dear Mr. Fruitman: On April 20, 2006, Calhoun Satellite Communications, Inc. (Calhoun) filed the above-captioned application to operate a temporary-fixed C-Band transmit-only earth station in the 5925-6425 MHz band that will communicate with ALSAT-designated satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective, without prejudice to refiling. In accordance with Section 25.277(f) of the Commission's rules, 47 C.F.R. 25.277(f), applications for temporary-fixed earth stations operating in frequency bands shared co-equally with terrestrial fixed stations, such as the C-Band, must include either a Frequency Coordination Report in accordance with Section 25.203
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- Rules and Policies, 2000 Biennial Regulatory Review----Streamlining and the Revisions of Part 25 of the Commission's Rules Governing the Licensing of, and Spectrum Usage of Satellite Network Earth Stations and Space Stations, IB Docket Nos. 02-34 and 00-248, 19 FCC Rcd 19564 (Int'l. Bur., 2004). The April 14 application was filed by paper rather than electronically. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss this application without prejudice to refiling. . If you need any technical assistance with IBFS, please contact the IBFS help desk at 202-418-2222. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau If Cable
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- IEC (L3) filed the above-captioned application and request for special temporary authority to operate a Fixed-Satellite Service (FSS) earth station in Point Mugu, CA. L3 proposes to use this earth station to communicate with ALSAT-designated satellites in the conventional and extended Ku-Band. This application was amended on May 11, 2006, to change the EIRP and EIRP densities. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss these applications without prejudice to refiling. Specifically, Form 312 Schedule B of the license application indicates that the only Points of Communication for the proposed earth station are ALSAT-designated satellites. Only those fixed-satellite service earth stations that are two-degree compliant and that operate in the 3700-4200 MHz, 5925-6425 MHz, 11.7-12.2 GHz,
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- 0.98 meter Prodelin antenna, that are not compliant with the antenna performance standards of Sections 25.209(a) and (b) of the Commission's rules, 47 C.F.R. 25.209(a) and (b), must submit antenna radiation patterns in their applications. Since Wal-Mart's application did not include these radiation patterns, this portion of the application is incomplete. In light of the above, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the request to add new 0.74 meter Prodelin remote antennas, 0.74 meter Raven remote antennas, and 0.98 meter Prodelin remote antennas; as defective. We defer the remaining portions of the application. Sincerely, Scott A. Kotler
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- Public Service Company (APS) filed the above-captioned earth station application to operate a Conventional Ku-band VSAT network consisting of a 3.8-meter antenna hub station in Sun City West, Arizona and one hundred 0.25-meter remote terminals throughout the United States. In the applications, APS states that it intends to use the hub station to communicate with ALSAT-designated satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. First, APS did not list a point of communication for its remote terminals, as required in FCC Form 312, Schedule B. Second, we cannot determine the proposed emission power of the hub or remote terminals due to inconsistencies among the proposed maximum
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 06-1218 June 06, 2006 Lauren A. Colby, Esq. CSN International 10 East Fourth Street Frederick, MD 21701-0113 Re: Call Sign: E060196 File No.: SES-LIC-20060526-00899 Dear Ms. Colby: On May 26, 2006, CSN International (CSN) filed the above-captioned earth station application to operate a Conventional Ku-band earth station using a 3.8-meter antenna. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Specifically, we cannot determine the proposed emission power due to inconsistencies among the proposed maximum EIRP density per carrier listed in the application and the average EIRP density calculated from other parameters. Specifically, for the 230KG7W emission, CSN indicates the maximum EIRP
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- Satellite Earth Stations, Second Report and Order, CC Docket No. 78-374, (adopted March 25, 1986). Because FSS is the only primary allocation in this band, operations to FSS receive-only Ku-band earth stations are protected against interference from the operations of any other communications service. As such, in this band, licensing or registering earth stations is unnecessary. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss this application as defective without prejudice to refiling. . If you need any technical assistance with IBFS, please contact the IBFS help desk at 202-418-2222. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau
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- pertinent details.''). See First Space Station Reform Order, 18 FCC Rcd at 10805-06 (para. 112). We emphasize that we do not find that the Pegasus application is speculative. Rather, we conclude that granting a waiver of our requirement that applications be substantially complete would undermine the purpose of this requirement and open the door to future speculators. 47 C.F.R. 25.112(a)(1). See e.g., Echostar Satellite LLC (F/K/A Echostar Satellite Corporation), Application for Authority to Construct, Launch and Operate a Geostationary Satellite in the Fixed Satellite Service Using the Extended Ku-Band Frequencies at the 101 W.L. Orbital Location, Order on Reconsideration, 19 FCC Rcd 24953, 24958-59 (para. 14) (Int'l Bur. 2004) (EchoStar Dismissal Reconsideration Order). See also, e.g. Letter to James V.
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- Fagan: On January 30, 2006, and April 5, 2006, Telenor Satellite, Inc. (Telenor) filed the above-captioned applications to modify two earth station licenses to add the INMARSAT-3F4 satellite now located at 142o W.L. as a point communication. On May 3, 2006, Telenor filed the above-captioned request for Special Temporary Authority to operate one of these earth stations. Pursuant to Section 25.112(a)(1) of the Commission rules, 47 C.F.R. 25.112(a)(1), we dismiss these applications as defective without prejudice to refiling. Section 25.203(c) of Commission's rules, 47 C.F.R. 25.203(c), requires applicants seeking to operate in bands shared co-equally with the terrestrial service such as certain C-Band frequencies, on which the Telenor earth stations operate, must submit a Frequency Coordination report in their
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- elevation angle for the remote terminals as 0 degrees. Section 25.205 of the Commission's rules, 47 C.F.R. 25.205, however, states that earth station antennas shall not be authorized for transmission at an angle that is less than 5 degrees measured from the horizontal plane to the direction of the maximum radiation. In light of the above, pursuant to Section 25.112(a)(1) of the Commission's rules and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 GHz and 14.0-14.5 GHz. 47 C.F.R. 25.112(a)(1). See also Echostar Satellite LLC, Order on Reconsideration, DA 04-4056
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- through IBFS. Please see Amendment of the Commission's Space Station Licensing Rules and Policies, 2000 Biennial Regulatory Review----Streamlining and the Revisions of Part 25 of the Commission's Rules Governing the Licensing of, and Spectrum Usage of Satellite Network Earth Stations and Space Stations, IB Docket Nos. 02-34 and 00-248. 19 FCC Rcd 19564 (Int'l. Bur., 2004). Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss this application without prejudice to refiling. . If you need any technical assistance with IBFS, please contact the IBFS help desk at 202-418-2222. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau If VideoLink,
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- any other Commission-licensed operations. Therefore, in any refiling we request Datapath to include the following information with respect to the WGS GapFiller satellite: (1) All the information specified in Section 25.114(d) of the Commission's rules, 47 C.F.R. 25.114(d). (2) A Schedule S, as required by Section 25.114(a) of the Commission's rules, 47 C.F.R. 25.114(a). Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 18.6-18.8, 19.7-20.2, 28.4-28.6, and 29.5-30.0 GHz bands. See Letter from Scott A. Kotler, Chief, Systems
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- MD 20852 RE: Call Sign KA313 File No.: SES-MOD-20060524-00880 Dear Mr. Fagan: On May 24, 2006, Telenor Satellite, Inc. (Telenor) filed the above-captioned application to modify its conventional Ku-band earth station license which operates in Southbury, Connecticut to add a 6.1 meter antenna. Telenor states that it plans to use this antenna to communicate with ALSAT-designated satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. In response to question E48 of Schedule B, Telenor lists the maximum EIRP for emission 42M0G7W as 86.01 dBW and for emission 72M0G7W as 88.25 dBW. These values exceed the 83.1 dBW level Telenor lists as the Total EIRP for all carriers
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- as 85. This is inconsistent with the 101.1 angle that is calculated using the eastern limit of the satellite arc of 50 W.L. and the earth station site location. Should ABS-CBN refile the application, it must supply a value for azimuth consistent with the limits of the satellite arc and the location of the earth station. Accordingly, pursuant to Sections 25.112(a)(1) and 0.261, we dismiss ABS-CBN's modification application, as defective, without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 GHz and 14.0-14.5 GHz. Amendment of the Commission's Regulatory Policies to Allow Non-U.S.-Licensed Space Stations to Provide Domestic and International Services in the United States, First Order on Reconsideration, IB Docket No. 96-111, 15
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- Bruce D. Sockler, Esq Mintz, Levin, Cohn, Ferris, Glovsky and Popeo, P.C. 701 Pennsylvania Avenue, N.W. Suite 900 Washington, D.C. 20004 Re: Call Sign: E060216 File No.: SES-LIC-20060608-00952 Dear Mr. Sockler: On June 8, 2006, Cable News Network LP, LLLP (CNN) filed the above-captioned application to operate a Fixed-Satellite Service temporary fixed earth station using the Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. CNN indicates it seeks to communicate with ALSAT-designated satellites. ALSAT may be listed as a point of communication only for routinely authorized earth stations. In response to question E49 of FCC Form 312 Schedule B, CNN lists 46.01 dBW/4 kHz as the Maximum
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- two licenses to extend the milestone date for completing construction of these Ka-Band earth stations until April 11, 2007. The licenses for these two stations were granted on April 11, 2003, with an initial completion of construction milestone date of April 11, 2004. This date, pursuant to requests from HNS, was later extended to April 11, 2006. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we deny your applications for additional time and, pursuant to Section 25.133(a)(1) of the Commission's rules, 47 C.F.R. 25.133(a)(1), declare the earth station licenses null and void. Section 25.117(c) of the Commission's rules, 47 C.F.R. 25.117(c), provides that requests for extensions of time to complete earth station construction must demonstrate that the additional
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- the north latitude coordinate as 47o 20' 42'' and the longitude coordinate as 122o 36' 40'' in the application. However, the frequency coordination study lists the latitude coordinate as 47o 20' 18.6'' and the longitude coordinate as 122o 36' 34.2''. These discrepancies should be resolved should WB choose to refile its application. In light of the above, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the applications, as amended, as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 18.3-18.8, 19.7-20.2, 28.35-28.6, 29.25-30.0 GHz bands. Station call sign E060158 will be located
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- 51K2G7D as the emission designators for both the transmitting and receiving antenna beams. Since the bandwidths listed in Schedule B exceed the bandwidth listed in Schedule S, the application is inconsistent. Therefore, we dismiss that portion of the application regarding the 36M0G7W and 36M0G7D emissions. We will continue to process the remaining portions of the application. Accordingly, pursuant to Sections 25.112(a)(1) and 0.261, we dismiss HPT's application in part to the extent above, as defective, without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 3700-4200 MHz and 5925-6425 MHz. 47 C.F.R. 25.112(a)(1) and 0.261. See also Echostar Satellite LLC, Order on Reconsideration, DA 04-4056 (released December 27, 2004). If HPT refiles an application
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- Sirius Satellite Radio Inc. 1221 Avenue of the Americas 36th Floor New York, NY 10020 RE: Call Sign E060277 File No.: SES-LIC-20060721-01236 SES-STA-20060721-01237 Dear Mr. Donnelly: On July 21, 2006, Sirius Satellite Radio Inc. (Sirius) filed the above-captioned application and request for Special Temporary Authority to operate a Fixed-Satellite Service transmit/receive fixed earth station using the Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective without prejudice to refiling. Sirius lists ALSAT as the point of communication for this earth station. ALSAT may only be listed as a point of communication for routinely authorized earth stations. Sirius' proposed earth station, however, does not conform to the Commission's routine processing standards. In response
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- must accompany all applications for new transmitting facilities. Also, the application does not include a value for the antenna gain in response to questions E41 and E42 of Schedule B of Form 312 nor does it include any information regarding the receiving emission designator in response to question E47. Without this information, the application is incomplete. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss this application without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 and 14.0-14.5 GHz bands. If West Virginia Media Holdings, LLC refiles an application identical to the one dismissed,
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- wideband mode aspect of the application violates the current DBS freeze. Therefore, we dismiss, as premature, the portions of the application pertaining to wideband mode operation. Failure To Provide Section 25.114 Information for Additional Capacity. Section 25.114(c) of the Commission's rules requires all space station applicants to submit all applicable items of information listed in its subsections. In addition, Section 25.112(a)(1) of the Commission's rules provides that an application will be unacceptable for filing if ``the application is defective with respect to completeness of answers to questions, informational showings, internal inconsistencies, execution, or other matters of a formal character.'' We note that DIRECTV mentions in its application that DIRECTV 13 will have the capability of operating on all 16 even-numbered channels.
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- M. McCarthy Qualcomm, Inc. 5775 Morehouse Drive San Diego, CA 92121 Re: Call Sign: E060311 File No. SES-LIC-20060810-01344 Call Sign: E060312 File No. SES-LIC-20060810-01346 Dear Ms. McCarthy: On August 10, 2006, Qualcomm Inc. (Qualcomm) filed the above-captioned applications for authority to operate two fixed earth stations that would communicate with Permitted List satellites in the conventional Ku-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective. Specifically, in both applications Qualcomm list the value of the Maximum EIRP Density per Carrier for emission designator 11M0G7W as 40.67 dBW/4 kHz. This is less than and therefore inconsistent with the average value of 45.71 dBW/4 kHz we derive from the bandwidth of the emission and
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- Inc. 57 Everett St. Warren, RI 02885 Re: Call Sign: E060239 File Nos.: SES-REG-20060615-01023 SES-STA-20060615-01024 Dear Mr. Maaia: On June 15, 2006, Full Channel TV, Inc. (Full Channel) filed the above-captioned application to register a C-Band and Ku-Band receive-only earth station. In addition, Full Channel filed a request for Special Temporary Authority to operate this earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective without prejudice to refiling. All applicants seeking licenses or registrations for Receive-Only must include all items of information required by FCC Form 312 and its associated Schedule B. Full Channel's application, however, does not include several fields of required information, including frequency band and emission designators (See
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- Road Unit 860 Niagara Falls, NY 14305 Re: File Nos.: SES-STA-20060906-01670 SES-MOD-20060908-01684 Call Sign E990053 Dear Mr. Rampen: On September 6, 2006, and September 8, 2006, BotCorp America (BotCorp) filed the above captioned request for Special Temporary Authority and application to modify its earth station license to operate 25,000 mobile earth terminals (METs) in the lower L-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective. Specifically, we note that BotCorp indicates a Maximum EIRP per Carrier of 28.0 dBW for emission designator 5K40G7D in response to items E47 and E48 of Schedule B of Form 312. This 28.0 dBW level is greater than, and, therefore, inconsistent with the Total EIRP for
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- 2450 Satellite Blvd. Duluth, GA 30096-5801 RE: Call Sign E060320 File No.: SES-LIC-20060816-01393 Dear Mr. Beattie: On August 16, 2006, DataPath, Inc. (DataPath) filed the above-captioned application for a new license to operate a Ka-band earth station located in Duluth, Georgia. DataPath proposed to use 2.4-meter and 3.9-meter antennas to communicate with the AMC-15 and AMC-16 satellites. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. In response to question E49 of Schedule B of the application, DataPath lists, for the 2.4-meter antenna in the frequency bands 28.4- 28.6 GHz and 29.5- 30.0 GHz, the maximum EIRP density value of 40.65 dBW/4kHz for the emission 100KG1W. This value
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- Pivotal Satellite Technologies, Inc. 119 Herbert Street, Suite 101 Framingham, MA 01702-8774 Re: Call Sign: E060348 File No. SES-LIC-20060830-01651 Dear Mr. Berg: On August 30, 2006, Pivotal Satellite Technologies, Inc. (Pivotal) filed the above-captioned application for authority to operate a mobile earth station that would communicate with ALSAT-designated satellites in portions of the extended and conventional Ku-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective. Specifically, Form 312 Schedule B of the license application indicates that the only Points of Communication for the proposed earth station are ALSAT-designated satellites. Only those fixed-satellite service earth stations that are both two-degree compliant and operate in the 3700-4200 MHz, 5925-6425 MHz, 11.7-12.2 GHz, or 14.0-14.5
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- frequency and polarization of transponders (both receiving and transmitting frequencies), as well as information on which antenna beams are connected and switchable with the TT&C, shall be provided in every application. Since HPT's application does not include all the information regarding the orbital debris mitigation plan for the JCSAT-5A satellite, the application, as amended, is incomplete. Accordingly, pursuant to Sections 25.112(a)(1) and 0.261, we dismiss HPT's application, as amended, as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 3700-4200 and 5925-6425 MHz bands. See Letter from Mr. Scott A. Kotler, Chief, Systems Analysis Branch, to Mr. Frank R. Jazzo, dated August 15, 2006 (DA 06-1636). . See 47 C.F.R. 25.114 (d)(14)(iv);
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- Question 28 of the 312 Main Form. This study must accompany all applications for new transmitting facilities. Also, the application does not include a response to either question E38 or E40 of Schedule B, regarding the Total Power at the antenna flange or Total EIRP for all carriers, respectively. Without this information, the application is incomplete. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss this application without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 and 14.0-14.5 GHz bands. Federal Communications Commission DA 06-XXXX Federal Communications Commission Washington, D.C. 20554 i '' h'
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- Suite A Horsham, PA 19044 Re: Call Sign E060022 File No.: SES-STA-20060126-00164 Dear Ms. Swank: On January 26, 2006, Universal Space Network, Inc. (USN) filed the above-captioned application seeking special temporary authority to operate an S-Band earth station to support the SPAINSAT spacecraft during launch & early orbit (LEOP). The anticipated launch date is February 21, 2006. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application. USN seeks to operate on 2239.276 MHz with a 200K0G2D emission. The U.S. Table of Frequency Allocations, Section 2.106 of the Commission's rules, however, does not include an allocation for non-Federal Government use of this band. USN also requests to operate on 2062.0 MHz with a 200K0G2D emission. The
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- be operated in the Conventional Ku-band. L3 Titan amended this application on November 8, 2006. The proposed earth station, as amended, is to use a 0.36 meter remote antenna mounted on top of a vehicle. The earth station will communicate, while the vehicle is in motion, with U.S.-licensed Points of Communication (POC) and a fixed hub station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. In response to Question E49 of Schedule B, L3 Titan lists the maximum EIRP density per carrier for emissions 22M9G7D as +1.1 dBW/4 KHz. This is less than, and therefore inconsistent with, the average value of +7.4 dBW/4 kHz that we calculated using
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- limit for a routinely authorized earth station in Section 25.212(c) of the Commission's rules, 47 C.F.R. 25.212(c). Thus, if Boeing chooses to refile this application at these power levels, it should also supply certifications from the target satellite operators for which intends to communicate as required in Section 25.220(e)(1) of the Commission's rules, 47 C.F.R. 25.220(e)(1). Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss both applications without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 14.0-14.5 GHz band. 13.75-14.0 GHz band. Amendment of the Commission's Regulatory Policies to Allow Non-U.S.-Licensed Space Stations to Provide
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- of communication. Thus, Telenor must identify specific satellites as its point of communication. Also, in accordance with Section 25.220(f)(2) of the Commission's rules, 47 C.F.R. 25.220(f)(2), Telenor must submit a certification described in Section 25.220(e)(1) of the Commission's rules, 47 C.F.R. 25.220(e)(1), from each target satellite operator. Telenor's application, as amended, does not include these certifications. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss both applications without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 3700-4200 and 5925-6425 MHz bands. 3600-3700, 5850-5925, and 6425-6475 MHz bands. See Letter from Keith H. Fagan, Counsel, Telenor
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- Suite A Horsham, PA 19044 Re: Call Sign E060022 File No.: SES-STA-20060126-00163 Dear Ms. Swank: On January 26, 2006, Universal Space Network, Inc. (USN) filed the above-captioned application seeking special temporary authority to operate an S-Band earth station to support the Hotbird-8 spacecraft during launch & early orbit (LEOP). The anticipated launch date is April 20, 2006. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application. USN seeks to operate on 2270 MHz with a 200K0G2D emission. The U.S. Table of Frequency Allocations, Section 2.106 of the Commission's rules, however, does not include an allocation for non-Federal Government use of this band. USN also requests to operate on 2090.292 MHz with a 200K0G2D emission. The
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- Schedule S of SES AMERICOM's amendment as Beam ID NG1RR and NG1RL. Section 25.210(i) of the Commission's rules requires fixed-satellite service space station antennas to be designed to provide a cross-polarization isolation of 30 dB. Thus, SES AMERICOM's proposed feeder links do not comply with the Commission's rules. Moreover, SES AMERICOM has not requested a waiver of Section 25.210(i). Sections 25.112(a)(2) and (b)(1) of the Commission's rules state that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing, unless the application is accompanied by a waiver request with reasons supporting the waiver. Therefore, pursuant to the Commission's rules on delegated authority, 47 C.F.R. 0.261(a)(4), we find that the
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- 19044 Re: Call Sign E060022 File No.: SES-STA-20060126-00159 Dear Ms. Swank: On January 26, 2006, Universal Space Network, Inc. (USN) filed the above-captioned application seeking special temporary authority to operate an S-Band earth station to support the Hotbird-7A spacecraft during launch & early orbit (LEOP) for approximately 10 days. The anticipated launch date is February 21, 2006. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application. USN seeks to operate on 2265.2 MHz with a 200K0G2D emission. The U.S. Table of Frequency Allocations, Section 2.106 of the Commission's rules, however, does not include an allocation for non-Federal Government use of this band. USN also requests to operate on 2085.9 MHz with a 200K0G2D emission. The
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- Content-Transfer-Encoding: 8bit DA 06-2515 December 14, 2006 Leigh S. Willis Videolink, Inc. 50 Hunt Street Watertown, MA 02472 Re: Call Sign: E060423 File No.: SES-LIC-20061201-02066 Dear Ms. Willis: On December 1, 2006, Videolink, Inc. on behalf of Ed Schultz Broadcasting, LLC filed the above-captioned application for a fixed earth station to be operated in the Conventional Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. The application lists the maximum EIRP density per carrier for emission 24M0G7F as +23.37 dBW/4 KHz. This is less than, and therefore inconsistent with, the average value of +28.32 dBW/4 kHz that we calculated using the 66.1 dBW EIRP listed in the application
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- : DA 06-276 February 3, 2006 Brian Jones, Esq. Qualcomm, Inc. 5775 Morehouse Drive San Diego, CA 92121 Re: Call Sign: E040324 File No. SES-LIC-20051206-01702 Dear Mr. Jones: On December 6, 2005, Qualcomm Inc. filed the above-captioned application for authority to operate earth stations on-board vessels (ESV) that would communicate with ALSAT-designated satellites in the conventional Ku-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective. Specifically, in Form 312 Schedule B, you list the value of the Maximum EIRP Density per Carrier for emission designator 15M0F1D (E47) as -16.9 dBW/4 kHz (E49). This is less than and therefore inconsistent with the maximum value of -12.7 dBW/4 kHz we derive from the bandwidth
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit Corporation (Loral) filed the above-captioned application to relocate its Ku-Band fixed earth station from Three Peaks, CA to Hawley, PA. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as incomplete. Section 25.115(b) of the Commission's rules, 47 C.F.R. 25.115(b), requires that applications for earth stations shall be filed on FCC Form 312 and include a Schedule B. The modification application did not include a Schedule B. Furthermore, the application did not include a request for a waiver
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- DC 20004 Re: File No. SES-STA-20060130-00174 Dear Mr. Nalda: On January 30, 2006, The Boeing Company (Boeing) filed the above-captioned application for Special Temporary Authority to operate earth stations on-board vessels (ESV) that would communicate with ALSAT-designated satellites in the conventional Ku-band and several other U.S.-licensed and non-U.S.-licensed satellites in both the conventional Ku-band and extended Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application because there are internal inconsistencies. Specifically, in response to item E49 on Form 312 Schedule B, Boeing lists the value of the Maximum EIRP Density per Carrier for emission designator 32M4G7W (E47) as 15.9 dBW/4 kHz. However, in demonstrating compliance with the off-axis EIRP density levels in Section 25.222(a)(1)
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- in response to question 28 of the 312 Main Form. This is required since the Ku-Band application proposes a change in coordinates of greater than 10 seconds. For additional information, also see International Bureau Eliminates Redundant Filing of Radiation Hazard Studies, Public Notice, Report No. DS-1492, DA 95-96, 10 FCC Rcd 2256 (rel. February 6, 1995). Accordingly, pursuant to Section 25.112(a)(1) of the Commission's Rules, 47 C.F.R. Section 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. Section 0.261, we dismiss this application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 and 14.0-14.5 GHz bands. If Signal Hill Trading Company re-files an application identical to
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- we have with the applications. In response to Items E54 and E55 of Schedule B, Carol L. Ives indicates that the eastern satellite arc limit is 60o E.L. Since the earth stations in Florida are not within line of sight of a satellite that far east, this cannot be correct. Please correct this in any refiling. Accordingly, pursuant to Section 25.112(a) (1) of the Commission's rules, 47 C.F.R. 25.112(a) (1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss both applications as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 and 14.0-14.5 GHz bands. If Carol L. Ives re-files an application identical
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- that transmit while in motion. If your terminal does not transmit while in motion, but is portable and transmits at various fixed locations for a period less than 6 months, its station class designation is a Temporary-Fixed Earth Station. . If you need any technical assistance with IBFS, please contact the IBFS help desk at 202-418-2222. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112 (a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss your application as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau If MMT License LLC refiles an application identical to the one dismissed, with the
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- Connecticut Ave NW Washington, D.C. 20036-1795 Call Sign: E050292 File No.: SES-LIC-20051018-01424 File No.: SES-STA-20051115-01578 Dear Mr. Mamlet: On October 18, 2005, Stratos Offshore Services Company (Stratos) filed the above-captioned application seeking a license to operate a network of Ku-Band earth stations on board vessels (ESV) through a previously licensed 6-meter fixed earth station in Scott, Louisiana. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application and the associated request for special temporary authority (STA) as defective. Specifically, for Stratos's proposed one-meter ESV antennas (Remote Types #1 and #4), Stratos lists the proposed Maximum EIRP per Carrier (item E48) as 45.8 dBW for emission designator (item E47) 400KG7D. This value is greater than, and
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- & Johnson LLP 1330 Connecticut Ave NW Washington, D.C. 20036-1795 Re: Call Sign: E050293 File No.: SES-LIC-20051018-01425 Dear Mr. Mamlet: On October 18, 2005, Stratos Offshore Services Company (Stratos) filed the above-captioned application seeking a license to operate a network of Ku-Band earth stations on board vessels (ESV) using a 13-meter fixed earth station in Bristow, Virginia. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective. Specifically, for Stratos's proposed one-meter ESV antennas (Remote Types #1 and #4), Stratos lists the proposed Maximum EIRP per Carrier (item E48) as 45.8 dBW for emission designator (item E47) 400KG7D. This value is greater than, and therefore inconsistent with, the Total EIRP for All Carriers
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- Rcd 20124 (Int'l Bur. 2001) (rejecting Astrolink's proposal to cease transmissions to and from its GSO satellites operating in NGSO Ka-band spectrum, and noting that GSO FSS systems cannot operate on a secondary basis to NGSO FSS systems without establishing an appropriate interference protection level for NGSO FSS operations). EchoStar Petition, at 9. 47 C.F.R. 25.111. 47 C.F.R. 25.112(a)(1). EchoStar Satellite LLC, Order on Reconsideration, 19 FCC Rcd 24953, 24958 (Int'l Bur. 2004). Public Notice, International Bureau, Satellite Division Information: Clarification of 47 C.F.R 25.140(B)(2), Space Station Application Interference Analysis, 18 FCC Rcd 25099 (Int'l Bur. 2003). EchoStar Petition, at 10. 47 C.F.R. 25.156(a). (continued....) Federal Communications Commission DA 06-865 Federal Communications Commission DA 06-865 @ )
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- full range of frequencies for which the INMARSAT-3F4 satellite is capable of operating, as well as identifying the full particulars for the specific operations sought under this STA, including specific frequencies and emissions. Please also note that any action on a refiled application would be without prejudice to enforcement action in connection with any unauthorized operation. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112 (a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss your application, File No. SES-STA-20060405-00570, as defective without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau See IBFS File No. SES-LIC-19980211-00183. 47 C.F.R. 25.112(a)(1). See also
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- Content-Transfer-Encoding: 8bit DA 06-990 May 05, 2006 William M. Wiltshire Harris, Wiltshire & Grannis, LLP 1200 Eighteenth Street, NW 12th Floor Washington, DC 20036 Re: Call Sign: E950349 File No.: SES-STA-20060501-00734 Dear Mr. Wiltshire: On May 1, 2006, DIRECTV Enterprises, LLC (DIRECTV) filed the above-captioned request for special temporary authority (STA) to operate the above-referenced earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective. The previous license for this earth station which expired October 27, 2005, authorized the earth station to operate in the 11.45-11.7, 11.7-12.2, 13.75-14.0, and 14.0-14.5 GHz bands. In its STA request, DIRECTV proposes to operate the earth station with ALSAT-designated satellites in both the ``conventional'' Ku-bands at
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- E890649. The application was amended on January 15, 2007. The amended application seeks authority to operate Earth Stations on Vessels (ESVs) in the extended and conventional Ku-bands. The application also seeks authority to add antennas and emission designators to the earth station. For the reasons stated below, we dismiss the application, as amended, as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Telenor's application contains several omissions and discrepancies that render it unacceptable and subject to dismissal. These deficiencies are as follows:
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- December 26, 2006, and February 28, 2007. The amended application seeks authority to operate Earth Stations on Vessels (ESVs) in the extended and conventional Ku-bands. The amended application also seeks authority to add antennas and new emission designators to the earth station. For the reasons stated below, we dismiss the application, as amended, as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Telenor's application contains several omissions and discrepancies that render it unacceptable and subject to dismissal. These deficiencies are as follows:
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- Drucker: This letter refers to the above-referenced application filed by ATCONTACT Communications, LLC (ATCONTACT). ATCONTACT seeks to modify its license by modifying the assigned location of one of the geostationary fixed-satellite service (GSO FSS) satellites in its licensed system from 34 W.L. to 77 W.L. As set forth below, we dismiss the application as incomplete without prejudice to refiling. Section 25.112(a)(2) of the Commission's rules states that an application that does not substantially comply with the Commission's rules will be returned to the applicant as unacceptable for filing unless the application is accompanied by a waiver request with reasons supporting the waiver. Section 25.210(c) requires all fixed-satellite service space stations to have a minimum capability to change transponder saturation flux densities
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- letter refers to the above-referenced applications filed by ATCONTACT Communications, LLC (ATCONTACT). ATCONTACT seeks to modify the assigned orbital location for one of its geostationary fixed-satellite service (GSO FSS) satellites in its licensed system from 83 W.L. to 87 W.L. and to add Ka-band frequencies. As set forth below, we dismiss the applications as incomplete without prejudice to refiling. Sections 25.112(a)(1) and (2) of the Commission's rules require the Commission to return, as unacceptable for filing, any application that is not substantially complete or does not substantially comply with the Commission's rules. Section 25.114(d)(14)(iii) of the Commission's rules provides that each application for a new or modified space station authorization must include an assessment as to whether there are any known
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- Mr. Moskowitz: This letter is in response to EchoStar Satellite Operating Corporation's (EchoStar) above referenced modification application specifying a precise orbital location for the EchoStar 113 satellite. EchoStar filed this application to meet a condition contained it its October 19, 2006 authorization for this satellite. For the following reason, we dismiss the application as incomplete without prejudice to refiling. Section 25.112(a)(2) of the Commission's rules states that an application is unacceptable for filing if it ``does not substantially comply with the Commission's rules [or] regulations.'' Further, section 25.114(d)(14)(iii) provides that a space station operator must include a statement that it has assessed whether there are any known satellites at, or reasonably expected to be located at, the requested orbital location, and
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- 1300 N. 17th Street 11th Floor Arlington, VA 22209 Re: Call Sign E070024 File No. SES-LIC-20070205-00184 Dear Mr. Jazzo: On February 5, 2007, Sabil Uplink Communications, LLC (Sabil) filed the above-captioned application for authority to operate a new Conventional C-Band/Ku-Band transmit-only Temporary-Fixed earth station. The application lists ALSAT-designated satellites as points of communication for the earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules.
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- the above-captioned application for a mobile satellite service (MSS) earth station to be operated in the Conventional Ku-band. The proposed earth station would use a 0.36 meter remote antenna mounted on top of a vehicle. The earth station will communicate, while the vehicle is in motion, with U.S.-licensed Points of Communication (POCs) and a fixed earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. In response to Question E48 of Schedule B, L3 Titan lists the maximum EIRP per carrier for emission 22M9G7D as 47.8 dBW. This is greater than, and therefore inconsistent with, the Total EIRP for All Carriers L3 Titan lists as 45.0 dBW in
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- DA 07-1352 March 19, 2007 Richard Ellison North Dakota Telephone Company 211 2nd St. NW Devils Lake, ND 58301 Re: File No. SES-REG-20070212-00244 Dear Mr. Ellison: On February 12, 2007, North Dakota Telephone Company filed the above-captioned application to register a C-Band Receive-Only Earth Station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. North Dakota Telephone Company's application does not comply with the Commission's rules which renders it unacceptable and subject to dismissal.
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- response to Telenor Satellite, Inc.'s (Telenor's) above-captioned applications for authority to operate up to 1000 Inmarsat-C half-duplex mobile earth terminals (METs). The METs would provide Mobile Satellite Service (MSS) to U.S. customers in certain L-band frequencies via the Inmarsat 4F2, 3F2, and 3F3 satellites. For the reasons stated below, we dismiss the applications as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Telenor's applications contain several omissions and discrepancies that render it unacceptable and subject to dismissal. These deficiencies are as follows:
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- amended the application on December 13, 2006. Specifically, Lockheed Martin seeks authority to communicate with the United Kingdom's Inmarsat-3F4 satellite located at the 142o W.L. orbit location using certain L-Band and extended C-Band frequencies. In its application, Lockheed Martin also seeks to remove other L-Band and extended C-Band frequencies from its license. For the reasons stated below, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application, as amended, as defective without prejudice to refiling. Section 25.137 of the Commission's rules, 47 C.F.R. 25.137, requires applicants seeking to operate with a non-U.S. licensed satellite to provide the same technical information regarding the satellite as applicants seeking U.S. licenses must file with respect to their proposed
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- 25, 2006. In the modification application, as amended, Telenor seeks authority to add the United Kingdom's Inmarsat-3F4 satellite located at the 142o W.L. orbit location as a point of communication, using the L-Band and extended C-Band frequencies. It also seeks to add a 1.8 meter L-band antenna to the earth station license. For the reasons stated below, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the applications, as amended, as defective without prejudice to refiling. In the cover letter to the November 15, 2006 amendment, Telenor indicates the earth station will transmit in the 6454.32-6456.52 MHz band. This is inconsistent with Telenor's Schedule S, in which Telenor lists the frequency band used by the Inmarsat-3F4 satellite
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- SES-LIC-20061218-02216 Dear Mr. Argiropoulos: On December 18, 2006, the City of Chicago/Office of Emergency Communications (Chicago) filed the above-captioned application for authority to operate a network of very small aperture terminals (VSAT network) that will use conventional Ku-band frequencies. The proposed network will consist of a hub station located in Chicago and two temporary-fixed transmit/receive remote stations. Pursuant to Section 25.112(a) of the Commission's rules, 47 C.F.R. 25.112(a), we dismiss this application as defective without prejudice to refiling. In response to Question 28 of FCC Form 312 Main Form, the application does not include the required Radiation Hazard Study. This study must accompany all applications filed for new transmitting facilities. In addition, in response to Question E47 of Schedule B,
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- Esq. Fletcher, Heald & Hildreth, PLC 1300 North 17th Street 11th Floor Arlington, VA 22209 Re: Call Sign E070041 File No.: SES-LIC-20070320-00378 Dear Mr. Jazzo: On March 20, 2007, Hurst USA, Inc. (Hurst) filed the above-captioned application for authority to operate a transmit-only temporary fixed earth station with multiple antennas in the conventional C-band and Ku-band frequencies. Pursuant to Section 25.112(a) of the Commission's rules, 47 C.F.R. 25.112(a), we dismiss this application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules.
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- 710 Washington, DC 20002 Re: Call Sign E960068 File No. SES-MOD-20070319-00371 Dear Mr. Herman: On March 19, 2007, TowerStream Corp. (TowerStream) filed the above-captioned application to modify its license for earth station E960068 located in Medley, Florida. In this application, TowerStream seeks authority to provide terrestrial broadband service in the 3650-3700 MHz band under its satellite license. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. 25.112(a)(2), we dismiss the application as improperly filed. TowerStream's earth station license authorizes it to provide fixed-satellite service by accessing Intelsat and Solidaridad satellites. It also authorizes the earth station to transmit in the 5850-6425 MHz band (Earth-to-space) and receive in the 3625-4200 MHz band (space-to-Earth). In its modification application, TowerStream seeks authority to
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- Services, Inc. (FKA MCI WorldCom Communications, Inc.) 2400 N. Glenville Drive/Dept/Loc 71216/107 Richardson, TX 75082 Re: Call Sign E070068 File No. SES-LIC-20070409-00466 Dear Ms. Birkelbach: On April 9, 2007, MCI Communications Services, Inc. FKA MCI WorldCom Communications, Inc. (MCI) filed the above-captioned application seeking an earth station license to operate a VSAT Network in the extended and conventional Ku-bands. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. MCI's application contains several omissions and discrepancies that render it unacceptable and subject to dismissal. These deficiencies are as follows:
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- North 17th Street 11th Floor Arlington, VA 22209 Re: Call Sign E060122 File No. SES-MOD-20070427-00528 Call Sign E060116 File No. SES-MOD-20070427-00527 Dear Mr. Jazzo: On April 27, 2007, RCN License Subsidiary, Inc. (RCN) filed the above-captioned applications to modify the licenses of two C-Band transmit-only Temporary-Fixed earth stations. The applications seeks to convert the authorizations to fixed earth stations. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Both of RCN's applications contain an omission that render each unacceptable and subject to dismissal. The 5925-6425 MHz band is
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- May 15, 2007 Mr. William K. Coulter DLA Piper US LLP 1200 19th Street, N.W. Washington, D.C. 20036 Re: Call Sign: E070081 File No.: SES-LIC-20070430-00533 Dear Mr. Coulter: On April 30, 2007, Mobile Satellite Communications, Inc. d/b/a Pittsburgh International Teleport (Mobile Satellite) filed the above-captioned application to operate a transmit/receive Fixed-Satellite Service Ku-band earth station using a 6-meter antenna. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Mobile Satellite's application does not include required information and it is therefore unacceptable and subject to dismissal. In response to
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- 07-2200 May 25, 2007 Glenn Holterhaus Sky Television, LLC 920 Corporate Lane Chesapeake, VA 23310 Re: File No. SES-LIC-20070511-00688 Dear Mr. Holterhaus: On May 11, 2007, Sky Television, LLC (Sky Television) filed the above-captioned application for authority to operate a Temporary-Fixed Ku-Band Transmit/Receive Earth Station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Sky Television's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiencies
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- Call Sign E880772 File No. SES-MFS-20070509-00583 Dear Mr. Dunne: On May 9, 2007, Sure Shot Transmissions, Inc. (Sure Shot) filed the above-captioned application to modify its temporary-fixed Ku-band earth station license by adding new emission designators, increasing EIRP and EIRP density, and replacing an antenna. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Sure Shot's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiencies
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- Dear Mr. Barker: On May 30, 2007, SES Americom, Inc. (SES Americom) filed the above-captioned application to license a new fixed-satellite service earth station using a 7.3 meter antenna in the C-band. Using this earth station, SES Americom proposes to communicate with ALSAT-designated satellites. For the reasons stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. SES Americom's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiency
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- Sign E950235 File No. SES-T/C-20070105-00019 Dear Mr. Welch: On January 5, 2007, Graceba Total Communications, Inc. (Graceba) filed the above-captioned application for Transfer of Control of the receive-only earth station, call sign E950235, located in Ashford, AL. This registration for this earth station, however, expired on March 20, 2005. Thus, there is no registration to transfer. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the above-captioned transfer application as moot. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau See IBFS File No. SES-REG-19950320-01269. Federal Communications Commission DA 07-XXXX Federal Communications Commission Washington, D.C. 20554 h' h' h'
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- 20004 Re: Call Sign E850282 File No. SES-ASG-20070108-00039 Dear Mr. Welch: On January 8, 2007, Cosmos Broadcasting Corporation (Cosmos) filed the above-captioned application for assignment of the receive-only earth station, call sign E850282, located in Jonesboro, AR. The license for this earth station, however, expired on December 6, 1995. Thus, there is no license to assign. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the above-captioned assignment application as moot. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau See IBFS File No. SES-LIC-19850923-01052. Federal Communications Commission DA 07-XXXX Federal Communications Commission Washington, D.C. 20554 h' h' h'
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- DC 20002 Re: Call Sign KK65 File No. SES-ASG-20070104-00017 Dear Mr. Shapiro: On January 4, 2007, Hereford Cablevision (Hereford) filed the above-captioned application for assignment of the receive-only earth station, call sign KK65, located in Hereford, TX. The license for this earth station, however, expired on March 11, 1993. Thus, there is no license to assign. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the above-captioned assignment application as moot. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau See IBFS File No. SES-LIC-19830101-02147. Federal Communications Commission DA 07-XXXX Federal Communications Commission Washington, D.C. 20554 h' h' h'
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- Sewell LLP 1601 Elm Street Suite 3000 Dallas, TX 75201 Re: Call Sign E060375 File No. SES-LIC-20061011-01829 Dear Mr. Miller: On October 11, 2006, Schlumberger Technology Corporation (Schlumberger) filed the above-captioned application to operate twenty earth stations aboard vessels (ESV) in the Fixed Satellite Service (FSS). The network will communicate with ALSAT-designated satellites in the conventional Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective without prejudice to refiling. Specifically, Schlumberger indicates that its proposed ERA Model KU12LR antenna exceeds the envelope specified in Section 25.209 of the Commission's rules, 47 C.F.R. 25.209, between 1.5 and 6.0 degrees offset angle from the boresight. Schlumberger proposes to operate this antenna with a maximum
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- operate emissions of 5K00G1D for MMS and 270KG1D for DATAF. However, in response to item E47 of Schedule B, CMDC states that the emission designator is 168KG1D with direct sequence spread spectrum modulation. We request that CMDC explain the discrepancy in bandwidth. We also request that CMDC specify the mobile service for each type of MET. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss both applications without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau The L-band encompasses frequencies from 1525-1544/1545-1559 MHz and 1626.5-1645.5/1646.5-1660.5 MHz. The 1525-1544 MHz and 1626.5-1645.5 MHz frequencies are referred
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- & Lerman PLLC 2000 K Street NW Suite 600 Washington, DC 20006 RE: Call Sign E070110 File No.: SES-LIC-20070615-00819 Dear Mr. Baruch: On June 15, 2007, HNS License Sub, Limited (HNS) filed the above-captioned application for authority to operate a C-band transmit/receive earth station. For the reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. HNS's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiency is
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- M. Wiltshire Harris, Wiltshire & Grannis, LLP 1200 18th Street, NW Washington, DC 20036 RE: Call Sign E070111 File No.: SES-LIC-20070615-00820 Dear Mr. Wiltshire: On June 15, 2007, DIRECTV Enterprises, LLC (DirecTV) filed the above-captioned application for authority to operate a Ka-band Earth Station. For the reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. DirecTV's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiency is
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- On May 23, 2007, Intelsat LLC (Intelsat) filed the above-captioned license application for a fixed-satellite service earth station that will use a 13.10 meter antenna in the Ku-band. Using this earth station, Intelsat proposes to use this earth station to communicate with ALSAT-designated satellites. For the reasons stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Intelsat's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiency is
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- to provide service in the 11.7-11.95 GHz frequency band on a non-harmful interference basis. In its modification request, Intelsat North America indicates that its proposed use of the 11.7-11.95 GHz band in Region 1 and 3 does not conform to the ITU Table of Frequency Allocations. Intelsat North America therefore seeks a waiver of Sections 2.106 (U.S. Table of Allocations), 25.112(a)(3) (applications considered defective if it requests authority for operations not allocated under the ITU Radio Regulations), and 25.140(b)(2) (requirement to provide a ``2 degree'' interference analysis) of the Commission's rules. The modification application was placed on Public Notice and no comments were filed. III. DISCUSSION For the reasons discussed below, we grant Intelsat North America's modification request and authorize Intelsat
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- mitigation plans have been effective since October 19, 2005. DigitalGlobe has failed to explain why a general request to waive unspecified provisions of Section 25.114(d)(14) ``to the extent necessary'' serves the public interest or comports with the requirement that each application for a new or modified space station authorization constitute a concrete proposal for Commission evaluation. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss DigitalGlobe's above-captioned modification application and amendment without prejudice to refiling. Sincerely, Robert G. Nelson Chief, Satellite Division International Bureau See DigitalGlobe, Inc., Modification of Authorization to Construct, Launch and Operate and Remote-Sensing Satellite System, Order
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- Dear Mr. Iqbal: On July 19, 2007, HDTV LTD. (HDTV) filed the above-captioned application to modify the license for earth station call sign E040456. HDTV requests authority to add a 3.8 meter antenna that will use the Ku-Band and communicate with the Amazonas-1 satellite. For the reasons discussed below, we dismiss the application, as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. HDTV's application does not comply with the Commission's rules, and is therefore unacceptable and subject to dismissal. The deficiencies are as follows:
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 07-3525 August 6, 2007 Mr. Donald Collopy American Satellite Uplink 105 Alexander Ct Nanuet, NY 10954 Re: Call Sign E070154 File No. SES-LIC-20070719-00971 Dear Mr. Collopy: On July 19, 2007, American Satellite Uplink filed the above-captioned application for authority to operate a new Conventional Ku-Band transmit-only Temporary-Fixed earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. American Satellite Uplink's application
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- N.W. Suite 600 Washington, D.C. 20006 Re: Call Sign E060382 File No. SES-MOD-20070802-01029 Call Sign E060383 File No. SES-MOD-20070802-01030 Dear Mr. Baruch: On August 2, 2007 HNS License Sub, LLC (HNS) filed the above-captioned applications seeking authority to modify two licensed earth stations to increase the equivalent isotropically radiated power (eirp) transmitted in the 29.5-29.515 GHz band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss both applications as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. HNS's applications
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- Mr. Fagan: On June 7, 2007, Telenor Satellite, Inc. (Telenor) filed the above-captioned application to modify the existing blanket authority for 1000 Inmarsat B mobile earth terminals (METs) to permit the METs to communicate with the Inmarsat-3F4 satellite at the 142 W.L. orbital location. For the reasons stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Telenor's application contains several omissions and discrepancies that renders it unacceptable and subject to dismissal. These deficiencies are as follows: (1) Telenor
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- in Santa Paula, CA. In the modification application, Telenor seeks authority to add a 10.4-meter C-band antenna (ID SAPA 13) and a 1.8 meter L-band antenna (ID SAPA 13A) to communicate with the United Kingdom's Inmarsat 3F4 satellite at the 142 W.L. orbital location. For the reasons stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Telenor's application contains several omissions and discrepancies that render it unacceptable and subject to dismissal. These deficiencies are as follows: (1) Telenor
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- 4, 2007 Tariq Ahmad Cinnamon Mueller 307 North Michigan Avenue, Suite 1020 Chicago, IL 60601 Re: Call Sign: E900003 File No. SES-ASG-20070817-01145 Dear Mr. Ahmad: On August 17, 2007, Satview Broadband Ltd. filed by paper the above-captioned application to assign an earth station license. For the reason discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Satview Broadband Ltd.'s application does not comply with the Commission's rules, rendering it unacceptable and subject to dismissal. The deficiency is as
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- Communications, Inc. 120 White Oak Drive P.O. Box 506 Jasper, GA 30143 Re: Call Sign: E070185 File No. SES-LIC-20070813-01096 Dear Mr. Chastain: On August 13, 2007, Talking Rock Communications, Inc. filed the above-captioned application for authority to operate a Temporary-Fixed C-Band Transmit/Receive Earth Station. For the reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Talking Rock Communications, Inc.'s application does not comply with the Commission's rules, rendering it unacceptable and subject to dismissal. The deficiency is
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- to modify the license for the above-captioned Ku-Band VSAT Network. The application seeks to add additional remote antennas to the authorization. ATCONTACT also filed an STA request to operate the additional antennas prior to action on the modification application. For the reasons discussed below, we dismiss both the modification application and STA request as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. ATCONTACT'S application is incomplete, rendering it unacceptable and subject to dismissal. ATCONTACT did not provide responses to Questions E28-E60 of Schedule B
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- Mr. Drucker: This letter refers to the above-referenced application filed by ATCONTACT Communications, LLC (ATCONTACT). ATCONTACT seeks to modify its license by relocating one of the geostationary satellite orbit (GSO) satellites in its licensed system from 34 E.L. to 77 W.L. For the reasons set forth below, we return the application as unacceptable for filing without prejudice to refiling. Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless a waiver of the rules is requested. We find ATCONTACT's application defective in three respects, each of
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- to modify its license by relocating one of the geostationary satellite orbit (GSO) satellites in its licensed system from 83 W.L. to 87 W.L., and adding the following frequency bands: 28.35-28.6 GHz, 29.25-30.0 GHz (Earth-to-space) and 18.3-18.8 GHz, 19.7-20.2 GHz (space-to-Earth). For the reasons set forth below, we return the applications as unacceptable for filing without prejudice to refiling. Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless a waiver of the rules is requested. We find ATCONTACT's applications defective in three respects, each of
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- MHz band. On August 30, 2007, Vizada filed a second supplement to indicate that the proposed feeder link will be used to provide both International and Domestic Service. On September 20, 2007, Vizada filed a third supplement containing a Schedule S for Inmarsat-3F4. For the reasons stated below, we dismiss the STA application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Vizada's STA application contains several omissions and inconsistencies, and does not comply with the Commission's rules, rendering it subject to dismissal. These
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- of Space Operation Service. Orbcomm License Corp. Request for Special Temporary Authority, File No. SAT-STA-20070919-00127, Narrative at 1. Modification Application at Narrative Description at 3-4 n.6. 47 C.F.R. 25.113(g). See also ITU Radio Regulation 18.1 (requiring a license for a transmitting station ``established or operated by a private person or enterprise'') and 47 U.S.C. 303(r). 47 C.F.R. 25.112(a). Alternatively, Orbcomm may commit to no space station TT&C transmissions in this frequency band, or provide information concerning the licensing administration for space station operations in the 435 MHz band. Modification Application at Narrative Description at 4 n.7. 47 C.F.R. 25.113(g). See, e.g., 47 C.F.R. 25.112(a)(3). If Orbcomm re-files this portion of its application, it need not pay
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- October 11, 2007 Peter Norton RumJungle Media, Inc. 6256 Red Oak Road Mound, MN 55364 Re: File No. SES-LIC-20070927-01397 Dear Mr. Norton: On September 27, 2007, RumJungle Media, Inc. filed by paper the above-captioned application for authority to operate a Temporary-Fixed Ku-Band Transmit-Only Earth Station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. RumJungle Media, Inc.'s application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiency is
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- 2007 Mark J. Prak Hearst-Argyle Stations, Inc. P.O. Box 1800 Raleigh, NC 27602 Re: Call Sign: E070241 File No. SES-LIC-20071016-01423 Dear Mr. Prak: On October 16, 2007, Hearst-Argyle Stations, Inc. filed the above-captioned application for authority to operate a Temporary-Fixed Ku-Band Transmit-Only Earth Station. For the reason discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Hearst-Argyle Stations, Inc.'s application is incomplete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Question 28 of
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- September 20, 2007. In the amended application, Vizada seeks authority to operate land-based Inmarsat C terminals in the 1525-1544 and 1626.5-1645.5 MHz bands and maritime Inmarsat C terminals in the 1525-1545 and 1626.5-1646.5 MHz bands. It also seeks authority to operate maritime Inmarsat C terminals in the 1544-1545 and 1645.5-1646.5 MHz bands for distress and safety communications. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. 25.112(a)(2), we dismiss, as improperly filed, the portion of the amended application that seeks authority for maritime terminals. Section 25.109(c) of the Commission's rules, 47 C.F.R. 25.109(c), indicates that ship earth stations in the Part 80 Maritime Mobile Satellite Service are not licensed pursuant to Part 25. Rather, mobile earth stations on ships
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- Tillotson Law Office of David Tillotson 4606 Charleston Terrace, N.W. Washington, D.C. 20007 Re: Call Sign E860154 File No. SES-LIC-20071107-01540 Dear Mr. Tillotson: On November 7, 2007, the Law Office of David Tillotson filed, on behalf of North American Leasing, the above-captioned application for authority to operate an earth station that will operate in the conventional Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. North American
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- Tillotson 4606 Charleston Terrace, N.W. Washington, D.C. 20007 Re: Call Sign E910617 File No. SES-LIC-20071107-01541 Dear Mr. Tillotson: On November 7, 2007, the Law Office of David Tillotson filed, on behalf of North American Leasing, the above-captioned application for authority to operate a temporary-fixed earth station that will operate within the Conventional C-Band and the Conventional Ku-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. North American
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- location and any offset from a particular Appendix F location are considered the same orbital location. Reconsideration Order, para 37. In these cases, licensees will be allowed to select the particular band segment they wish to use no earlier than 60 days before they plan to launch the satellite. 47 C.F.R. 25.158(d)(5). Reconsideration Order at para. 37. See Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1). s, if Applicant A seeks to operate at 77 W.L., it must specify whether it is offset from the 75 W.L. or 79 W.L. Appendix F locations. 47 C.F.R. 25.114(d). 47 C.F.R. 25.140(b). 47 C.F.R. 25.140(c). 47 C.F.R. 25.210(i)(2). 47 C.F.R. 25.262(a), (b), and (e). 47 C.F.R.
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- Bristol, CT 06010-7454 Re: Call Sign E070231 File No. SES-LIC-20070928-01334 Call Sign E070232 File No. SES-LIC-20070928-01335 Dear Mr. Kemmler: On September 28, 2007, ESPN, Inc. (ESPN) filed the above-captioned applications for authority to operate two fixed earth stations that transmit in the 14.0-14.5 GHz frequency band and receive in the 10.95-11.2, 11.45-11.7, and 11.7-12.2 GHz frequency bands. Pursuant to Section 25.112(a)(2), we dismiss both applications in part as defective without prejudice to refiling. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. 25.112(a)(2), we dismiss the portion of the applications regarding the 10.95-11.2 and 11.45-11.7 GHz frequency bands. In the applications, ESPN proposes to operate in a variety of frequency bands and lists ALSAT-designated satellites as the point of
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- Sign: S2860) Dear Mr. Drucker: This letter refers to the above-referenced application filed by ATCONTACT Communications, LLC (ATCONTACT). In this application, ATCONTACT seeks an orbital reassignment for its satellite licensed to operate at the 83 W.L. orbital location to 87.2 W.L. For the reason set forth below, we return the application as unacceptable for filing without prejudice to refiling. Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless a waiver of the rules is requested. In its application, ATCONTACT failed to demonstrate that its proposed
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- Maalouf Pacific Satellite Connection, Inc. 1629 S Street Sacramento, CA 95814 Re: File No.: SES-LIC-20070103-00008 Call Sign: E070001 Dear Mr. Maalouf: On January 3, 2007, Pacific Satellite Connection, Inc. (Pacific Satellite) filed the above-captioned application for authority to operate a fixed earth station that would communicate with ALSAT-designated satellites in portions of the extended and conventional C-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective without prejudice to refiling. In Schedule B of the license application, Pacific Satellite indicates that the only Points of Communication for the proposed earth station are ALSAT-designated satellites. However, only those fixed-satellite service earth stations that are both 2-degree compliant and operate in the conventional C-band
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- Mobile Satellite Service. GlobeCast should clarify its proposed service in any refiling. Additionally, pursuant to Section 25.111(a) of the Commission's rules, 47 C.F.R. 25.111(a), GlobeCast should list the specific satellites which it intends to communicate in each extended Ku-band segment to allow us to process those portions of any use of the extended Ku-band frequencies. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the application without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau The application lists the 1095-1170, 1170-1220, 1220-1275, and 1375-1450 MHz bands as the proposed frequencies. We assume that GlobeCast
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- they intend to operate in frequency bands shared with terrestrial services on a co-primary basis. Although DirecTV previously filed a frequency coordination report for this earth station, that report does not include the proposed added analog emission 82K0F3N which will operate in the 17.7-17.8 GHz band. Therefore, the application is incomplete with respect to this emission. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss that portion of DirecTV's application requesting to add emission 82K0F3N without prejudice to refiling. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 24M0G7W, 1M00F2D, and 82K0F3N. 12.2-12.7 GHz and 17.3-17.8 GHz. If DirecTV
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- E. Rummel, Esq. ARENT FOX PLLC 1050 Connecticut Ave Washington, DC 20036-5339 Re: Call Sign: E080003 File No. SES-MOD-20080325-00350 Call Sign: E080002 File No. SES-MOD-20080326-00358 Dear Mr. Rummel: On March 25, 2008 and March 26, 2008, BAE Systems Information and Electronic Systems Integration, Inc. (BAE) filed the above-captioned applications to modify two earth station licenses to add Ka-band frequencies. Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. BAE's applications do not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. For the reason explained below,
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- W. Swanson Vizada, Inc. 1101 Wootton Parkway, 10th Floor Rockville, MD 20852 Re: Call Sign E930320 File No. SES-MOD-20080409-00444 Dear Mr. Swanson: On April 9, 2008, Vizada, Inc. (Vizada) filed the above-captioned application to modify its Ku-Band Earth Station on board Vessel (ESV) license to add up to 350 new 1.5 meter antennas and add new emissions. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss without prejudice to refiling the portion of the application that seeks to use the 1M43G1W and 2M35G1W emissions. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or
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- W. Swanson Vizada, Inc. 1101 Wootton Parkway, 10th Floor Rockville, MD 20852 Re: Call Sign KA313 File No. SES-MOD-20080310-00256 Dear Mr. Swanson: On March 10, 2008, Vizada, Inc. (Vizada) filed the above-captioned application to modify its Ku-Band Earth Station on board Vessel (ESV) license to add up to 400 new 1.5 meter antennas and add new emissions. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss without prejudice to refiling the portion of the application that seeks to use the 1M43G1W and 2M35G1W emissions. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or
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- Rice, PLLC 1401 I Street, NW Seventh Floor Washington, DC 20005 Re: Call Sign E080087 File No. SES-LIC-20080424-00486 Dear Mr. Gutman: On April 24, 2008, Nippon Television Network Corporation (Nippon Television) filed the above-captioned application seeking authority to operate a temporary-fixed Ku-band earth station. For the reason discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Nippon Television's application is incomplete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Question 28 of Form
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- Satellite CD Radio does not provide any information on the accuracy with which the inclination and the right ascension of the ascending node will be maintained. Without disclosure of the accuracy of all the proposed orbital parameters as part of the application, third parties will not be able to evaluate Satellite CD Radio's proposed system adequately. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss Satellite CD Radio's above-captioned modification application without prejudice to refiling. Although not grounds for dismissal, we request Satellite CD Radio to provide two additional clarifications in any future re-filing. First, we ask that Satellite CD
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- Because SSA is a federal government agency, the 1998 FCC license was inadvertently granted. In this regard, the authority to authorize federal government earth stations rests with NTIA. Consequently, we cannot renew the license and dismiss your renewal application. We wish to assure you that the earth station may continue to operate under the NTIA authorization. Accordingly, pursuant to Section 25.112(a)(2) of the Commission rules, 47 C.F.R. 25.112(a)(2), and the Commission's rules on delegated authority, 47 C.F.R. 0.261, we dismiss the above-referenced application. Sincerely, Scott A. Kotler Chief, Systems Analysis Branch Satellite Division International Bureau 11.7-12.2 and 14.0-14.5 GHz bands. Federal Communications Commission Washington, D.C. 20554 Q
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- 8bit DA 08-1526 June 27, 2008 Mr. Robert J. Lungo Vislink 101 Billerica Ave Bldg. 6 North Billerica, MA 01862 Re: Call Sign E080129 File No.: SES-LIC-20080528-00681 Dear Mr. Lungo: On May 28, 2008, Vislink filed the above-captioned application to operate a transmit-only temporary-fixed earth station in the conventional Ku-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss without prejudice to refiling the portion of the application that seeks to use the 102KG7W emission. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that
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- of Ku-band earth station call sign E980149 and E990081 to change its remote control point. Subsequent to the filing of the modification application, Telesat filed amendments to its modifications, to request authority to change from an authorization for two temporary-fixed earth stations to two fixed earth station authorizations in Mount Jackson, VA, and to add emission designators. Pursuant to Section 25.112(a)(2), we dismiss as defective without prejudice to refiling the portion of the amended applications that seek to operate in the 10.95-11.2 GHz and 11.45-11.7 GHz bands. In addition, we dismiss as defective the portion of the amended application for call sign E980149 that seeks to operate the 1M64G7W and 76K8G7W emissions. Section 25.112 of the Commission's rules, 47 C.F.R.
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- Corporation (Harris) filed the above-captioned application seeking a license to operate a fixed-satellite service (FSS) earth station in Melbourne, Florida that will use a 6.2-meter antenna. Harris proposes to operate the earth station in the 10.95-12.75 GHz (space-to-Earth) and 13.75-14.5 GHz (Earth-to-space) frequency bands. For the reasons stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Harris's application contains several omissions and discrepancies that render it unacceptable and subject to dismissal. These deficiencies are as follows:
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- 20036-7322 Re: Call Sign: E080160 File No. SES-LIC-20080702-00884 Call Sign: E080149 File No. SES-LIC-20080625-00849 Dear Mr. Stevenson: On June 25, 2008, and July 2, 2008, New Jersey Public Broadcasting Authority filed the above-captioned applications to operate two Temporary-Fixed earth stations in the conventional Ku-Band. For the reason discussed below, we dismiss the applications, as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. New Jersey Public Broadcasting Authority's applications are incomplete, which renders them unacceptable and subject to dismissal. The deficiency is as follows: New
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- 8bit DA 08-1833 July 31, 2008 Richard Ruhl Pioneer Long Distance, Inc. Kingfisher, OK 73750 Re: Call Sign: E3655 File No. SES-ASG-20080721-01006 Dear Mr. Ruhl: On July 21, 2008, Pioneer Long Distance, Inc. filed by paper the above-captioned application to assign an earth station license. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Pioneer Long Distance, Inc.'s application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiency
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- above-captioned request for Special Temporary Authority (STA) to conduct a test to assess its Radio Marine Ku-Band V-SAT network. M.T. proposes to use a 0.80 meter and operate its Earth Station on Vessel (ESV) in the Ku-band. M.T. requested operation via common carrier service. For the reasons stated below, we dismiss the STA as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. M.T.'s application is both technically inconsistent and incomplete, which render it unacceptable and subject to dismissal. The deficiencies are as follow: Section
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 08-1919 August 15, 2008 Ms. Jennifer Hindin, Esq. Wiley Rein LLP 1776 K Street, NW Washington, DC 20006 Re: Call Sign: E080168 File No. SES-LIC-20080714-00933 Dear Ms. Hindin: XM Radio provide, by amendment, additional information to allow the Commission to continue to process the application. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. With regard to its proposed C-Band operations, Sirius XM Radio's application does not comply with the Commission's rules, which renders it unacceptable
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- 28, 2008 Joe Stevens Video Crafters LLC 222 Capitol Street, Suite 500 Charleston, WV 25301 Re: Call Sign: E880532 Dear Mr. Stevens: On August 11, 2008, Video Crafters LLC filed by paper an application to assign an earth station license for the above-captioned call sign. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Video Crafters, LLC's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 08-2174 September 30, 2008 Gary Aviles Metrovision Production Group, LLC 508 West 24th Street New York, NY 10011 Re: Call Sign E080203 File No. SES-LIC-20080917-01212 Dear Mr. Aviles: On September 17, 2008, Metrovision Production Group, LLC (Metrovision) filed the above-captioned application for a license to operate a Conventional Ku-band temporary-fixed earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Metrovision's application
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- TX 77549 Re: Call Sign E080201 File No. SES-LIC-20080910-01187 Dear Mr. Magallanes: On September 10, 2008, CapRock Communications, Inc. (CapRock) filed the above-captioned application for a new license to operate a Conventional C-band fixed earth station. CapRock proposes to use a 2.4 meter antenna. For the reason detailed below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. CapRock's application is incomplete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: In response to Question E15
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- the EIRP density per carrier for its 6.1 meter antenna (call sign E960386). In the other modification application, GCI seeks to increase the EIRP density per carrier for its 7.3 meter antenna. The earth stations operate in the Conventional C-band communicating with ALSAT-designated satellites. For the reasons detailed below, we dismiss both applications as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. GCI's applications are incomplete, which renders them unacceptable and subject to dismissal, for the following reasons: First, in the application for the
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- File No. SES-AFS-20080917-01215. The amendment, however, contains only two of the four required items of information. In particular, the amendment does not contain an interference analysis, in accordance with 47 C.F.R. 25.140(b)(2), or a description of the types of services to be provided, including transmission characteristics and link performance analysis, in accordance with 47 C.F.R. 25.114(d)(4). Consequently, pursuant to Section 25.112(c) of the Commission's rules, 25.112(c), we dismiss the modification application, and the associated amendment, as incomplete without prejudice to refiling. As noted in our May 22, 2008 letter, we recognize that the Commission previously authorized JCSAT-2 to provide service in the United States. This authority was granted, however, before the filing requirements currently contained in Section 25.137(b) of the Commission's
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- in the 10.95-12.75 GHz frequency bands. For the reasons detailed below, we dismiss those portions of both applications that seek to operate in the 10.95-11.7 and 12.2-12.75 GHz bands as defective without prejudice to refiling. Additionally, we request SWE-DISH to provide, by amendment, additional information to allow the Commission to continue to process the remaining portions of the application. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. A portion of SWE-DISH's applications are defective, which renders them unacceptable and subject to dismissal. The deficiencies are as follows: In the
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- (Anadarko Petroleum) filed the above-captioned application to modify its fixed transmit/receive earth station that operates in the Conventional C-band. The application proposes to add the SATMEX-6 satellite at the 113 W.L. orbital location as a point of communication and to add a new emission. For the reason stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Anadarko Petroleum's application is technically inconsistent, which renders it unacceptable and subject to dismissal. In particular, in response to item
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- Channel proposes to operate the earth stations in the Conventional C-band, Conventional Ku-Band, and Extended Ku-Band. Speed Channel proposes to use the earth stations to communicate with ALSAT-designated satellites. For the reasons stated below, we dismiss the portions of the application that seek to operate in the 10.95-11.2, 11.45-11.7, and 11.7-12.2 GHz bands as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. A portion of Speed Channel's application does not comply with the Commission's rules, which renders that portion unacceptable and subject
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- SES-MOD-20080818-01071 (Call Sign E060451) File No. SES-MOD-20080818-01066 (Call Sign E060101) Dear Mr. Nalda: On August 18, 2008, RaySat Antenna Systems (RaySat) filed the above captioned applications to modify six earth-station licenses by adding emission designators with wider bandwidths and additional satellite points of communications. For the reasons discussed below, we dismiss the applications as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. RaySat's applications contain the following deficiencies: In response to item E47 of Schedule B, Raysat proposes to add a 10M7G7W emission designator
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- E 56th Avenue Anchorage, AK 99518 Re: Call Sign E080229 File No. SES-LIC-20081104-01446 Dear Mr. Dunn: On November 4, 2008, TelAlaska, Inc. (TelAlaska) filed an application for a license to operate a new transmit and receive earth station CSAT system for operations in Alaska. For the reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. TelAlaska's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. In response to item E21
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- modify its license for a fixed earth station in Nuevo, CA. In the application, Intelsat seeks to communicate with the Intelsat 805 satellite at 304.5o E.L. in the 3400-3625 and 6425-6604 MHz bands. For the reasons discussed below, we dismiss the portion of the application that pertains to the 3400-3600 MHz band application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Pursuant to the U.S. Table of Frequency Allocations in Section 2.106 of the Commission's rules, 47 C.F.R. 2.106, the 3400-3600 MHz
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- Brooklyn, NY 11205 Re: Call Sign E080238 File No. SES-LIC-20081125-01517 Dear Mr. Rodriguez: On November 25, 2008, Hispanic Information and Telecommunications Network, Inc. (Hispanic) filed an application for a license to operate a new transmit and receive earth station CSAT system in Brooklyn, NY. For the reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Hispanic's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. In response to item E21
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- telemetry, tracking & command (TT&C) functions to the Inmarsat 4F1 satellite at the 143.5 East Longitude (E.L.) orbital location and the Inmarsat 4F3 satellite at the 97.65 West Longitude (W.L.) orbital location. For the reason discussed below, we dismiss, without prejudice to refiling, the portions of the above captioned applications that seek to conduct TT&C functions in the C-band. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. With regard to its proposed TT&C operations in the C-band, Inmarsat Hawaii's applications do not comply with the Commission's rules, which renders
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- 08-434 February 20, 2008 Mr. Charles T. Gordon, IV McLean Bible Church 8925 Leesburg Pike Vienna, VA 22182 Re: Call Sign E080013 File No. SES-LIC-20080115-00051 Dear Mr. Gordon: On January 15, 2008, McLean Bible Church filed the above-captioned application seeking authority to operate a new transmit and receive earth station that will operate in the Conventional Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. McLean Bible
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- 2008 Mr. David Keir, Esq. Leventhal Senter & Lerman PLLC 2000 K Street, N.W. Suite 600 Washington, DC 20006-1809 Re: Call Sign E2532 File No. SES-MOD-20071218-01720 Dear Mr. Keir: On December 12, 2007, FiberSat Global Services, Inc. (FiberSat) filed the above-captioned application to modify its conventional C-band fixed earth station license to add emissions and increase power. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss, as defective without prejudice to refiling, the portion of the application that seeks to operate the 36M0G7W emission at an EIRP of 74.9 dBW. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 08-551 March 11, 2008 William K. Coulter, Esq. DLA Piper US LLP 500 8th Street, N.W. Washington, DC 20004 Re: Call Sign E000669 File No. SES-MOD-20080229-00213 Dear Mr. Coulter: On February 29, 2008, TeleCommunication Systems filed the above-captioned application to modify its VSAT network license to add an additional terminal-type. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. TeleCommunication Systems'
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- provide an incentive for an operator to maximize the efficiency of its system's TT&C operations, and to minimize the constraints placed on other satellite operations. We waive this rule based upon the extremely limited scope and duration of frequency use on a non-harmful interference basis and the limited nature of other satellite use of this band. The second rule, Section 25.112(a)(3), requires dismissal of applications seeking authority to operate in a frequency band not allocated under the International Telecommunication Union Radio Regulations. In adopting that rule, the Commission sought to avoid delays in the initiation of service caused by applications being filed years before necessary allocations were adopted. Because Orbcomm is not seeking to operate in the 435 MHz frequency band
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- Suite 800 Washington, DC 20036 Re: Call Sign E880611 File No. SES-MOD-20080407-00429 Dear Mr. Reed: On April 7, 2008, WPXI, Inc. (WPXI) filed the above-captioned modification application to modify its transmit-only temporary-fixed Ku-band earth station license to replace an antenna and modify emission parameters. For the reason discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. WPXI's application is incomplete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Question 28 of Form 312
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- 20036 Re: Call Sign E080060 File No. SES-LIC-20080306-00245 File No. SES-AMD-20080312-00287 Call Sign E080064 File No. SES-LIC-20080313-00303 Dear Mr. Gibbon: On March 6, 2008, March 12, 2008, and March 13, 2008, NHK Japan Broadcasting Corporation (NHK) filed the above-captioned applications seeking licenses to operate two temporary-fixed earth stations in the 12.25-12.75/14.0-14.5 GHz frequency bands in the fixed-satellite service (FSS). Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. NHK's applications contain several omissions that render each of them unacceptable and subject to dismissal. The deficiencies are as follows: The U.S.
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- Call Sign E080075 File No. SES-LIC-20080404-00421 Dear Mr. Gehman: On April 4, 2008, Alabama Educational Television Commission (Licensee of WLRH-FM) filed an application for a license to operate a new transmit and receive earth station in the conventional Ku-band using a 1.8 meter antenna. For the reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. WLRH-FM's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiencies are as follows:
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- below, EchoStar is considered subject to the presumption specified in Section 25.159(d) of the Commission's rules as a result of EchoStar missing three space station milestones within a three-year period. In its application, EchoStar did not rebut the presumption or request a waiver of the rule. Consequently, we return the application as unacceptable for filing without prejudice to refiling. Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless a waiver of the rules is requested. EchoStar's application does not comply with the Commission's rules. Further,
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- forth below, EchoStar is considered subject to the presumption specified in Section 25.159(d) of the Commission's rules as a result of EchoStar missing three space station milestones within a three-year period.1In its application, EchoStar did not rebut the presumption or request a waiver of the rule. Consequently, we return the application as unacceptable for filing without prejudice to refiling. Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless a waiver of the rules is requested.2EchoStar's application does not comply with the Commission's rules. Further, EchoStar
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- Telesat Network Services 135 Routes 202/206 Bedminster, NJ 07921-7018 Re: Call Sign E980250 File No. SES-MOD-20090429-00535 Dear Mr. Wazeter: On April 29, 2009, Telesat Network Services, Inc. (``Telesat'') filed the above-captioned modification application to remove a condition on an earth station license held by Telesat. For reasons discussed below, we dismiss this application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In response to question 36 of its modification application, Telesat answered ``Yes'' to the question: ``Has the applicant or any party to
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- Telesat Network Services 135 Routes 202/206 Bedminster, NJ 07921-7018 Re: Call Sign E980250 File No. SES-MOD-20090429-00535 Dear Mr. Wazeter: On April 29, 2009, Telesat Network Services, Inc. ("Telesat") filed the above-captioned modification application to remove a condition on an earth station license held by Telesat. For reasons discussed below, we dismiss this application as defective, without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In response to question 36 of its modification application, Telesat answered "Yes" to the question: "Has the applicant or any party to
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- application that was not substantially complete would be dismissed as unacceptable for filing. An application that was substantially complete would be placed on public notice regardless of whether it could ultimately be granted, with appropriate conditions, on the merits. In the Space Station Reform Order, the Commission decided to continue to require applications to be ``substantially complete'' when filed. Section 25.112(a) of the Commission's rules codifies this standard. In the context of the 17/24 GHz BSS proceeding, the Commission emphasized that it would require applications to be substantially complete, consistent with the requirements of Section 25.112. The Commission specified that, to be substantially complete, a 17/24 GHz BSS satellite application must include a complete Form 312, including Schedule S, and all
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- Response Letter, and the February 25 Spectrum Five Reply Letter as the parties' final positions. 20Space Station Reform Order, 18 FCC Rcd at 10804-18 (paras. 108-50). 21See Amendment of the Commission's Space Station Licensing Rules and Policies, Notice of Proposed Rulemaking, IB Docket No. 02-34, 17 FCC Rcd 3847, 3875-76 (para. 84) (2002) (Space Station Reform NPRM). 2247 C.F.R. 25.112(a)(1). 9396 Federal Communications Commission DA 09-1624 determined to be substantially complete, the application will be accepted for filing and placed on public notice.23If the application is not substantially complete, the application may be dismissed.24 8.For applications that have beenaccepted for filing under the first-come, first-served approach, an application may be granted, after the public comment period has expired, if the
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- Application to eliminate license condition on earth station authorization E980250 for communications with Telstar 18, SES-MOD-20090429-00535 Dear Mr. Wazeter: On April 29, 2009, Telesat Network Services, Inc. (``Telesat'') filed the above-captioned modification application to remove a condition on an earth station license held by Telesat. For reasons discussed below, we dismiss this application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In response to question 36 of its modification application, Telesat answered ``Yes'' to the question: ``Has the applicant or any party to
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- Application to eliminate license condition on earth station authorization E980250 for communications with Telstar 18, SES-MOD-20090429-00535 Dear Mr. Wazeter: On April 29, 2009, Telesat Network Services, Inc. ("Telesat") filed the above-captioned modification application to remove a condition on an earth station license held by Telesat. For reasons discussed below, we dismiss this application as defective, without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In response to question 36 of its modification application, Telesat answered "Yes" to the question: "Has the applicant or any party to
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- with ALSAT-designated satellites and specific Intelsat satellites. This earth station was previously licensed under Call Signs E7541 and E920702. On November 30, 2008 Lockheed Martin filed an amendment to make certain changes to the proposed earth station. Further, on December 19, 2008 Lockheed Martin filed an amendment to clarify the earth station's proposed emission and power levels. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss, without prejudice to refiling, that portion of the December 19 amendment that seeks to use the emission 3M00G7D for earth station antenna S-ANT 1-Ku. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not
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- Street, NW Washington, D.C. 20036 Re: Call Sign E080254 File No. SES-LIC-20081224-01713 Call Sign E080255 File No. SES-LIC-20081224-01714 Dear Mr. Wiltshire: On December 24, 2008, DIRECTV Enterprise, LLC (DIRECTV) filed the above-captioned applications for a license to operate two direct broadcast satellite (DBS) earth stations. For reason discussed below, we dismiss the applications as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. DIRECTV did not submit the Frequency Coordination and Interference Analysis Report as required by Section 25.203(c) of the Commission's rules,
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- that Vizada seeks to operate in the 13.750 to 13.772 GHz and 13.778 to 14.000 GHz bands. These bands are not allocated for ESV operations. Vizada did not file for a waiver of the Table of Allocations or Section 25.222 of the Commission's Rules. Consequently, we dismiss Vizada's request to operate in the 13.75-14.0 GHz band. Accordingly, pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the 13.75-14.0 GHz portion of the STA and modification applications as defective, without prejudice to refiling. The requests to operate in the 10.950 to 11.200 GHz, 11.450 to 12.200 GHz, and 14.000 to 14.500 GHz frequency bands
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- 13.778 to 14.000 GHz bands. These bands are not allocated for ESV operations. Vizada did not file for a waiver of the Table of Allocations or Section 25.222 of the Commission's Rules. Consequently, we dismiss Vizada's request to operate in the 13.75-14.0 GHz band. 1 See 47 C.F.R. 25.222 12256 Federal Communications Commission DA 09-2168 Accordingly, pursuant to Section 25.112(a)(1)2of the Commission's rules, 47 C.F.R. 25.112(a)(1), and Section 0.261 of the Commission's rules on delegations of authority, 47 C.F.R. 0.261, we dismiss the 13.75-14.0 GHz portion of the STA and modification applications as defective, without prejudice to refiling. The requests to operate in the 10.950 to 11.200 GHz, 11.450 to 12.200 GHz, and 14.000 to 14.500 GHz frequency bands remain
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- request to construct, launch, and operate a 17/24 GHz Broadcasting-Satellite Service (BSS) space station at the 67.5 W.L. orbital location using the 17.3-17.8 GHz (space-to-Earth) and the 24.75-25.25 GHz (Earth-to-space) frequency bands, with the 17.7-17.8 GHz (space-to-Earth) frequency band limited to international service only. For reasons discussed below, we partially dismiss the application as defective, without prejudice to refilling. Section 25.112 of the Commission's rules requires the Commission to return, as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In its application, SES indicates that the space station will provide service to the Continental U.S. (CONUS) using a fixed antenna beam, to South America using
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- for each diagram. Specifically, SES Americom only provided -4 dB, -10 dB, and -20 dB gain contours. SES Americom did not seek a waiver of Section 25.114(d)(3) with respect to the requirement to provide antenna gain contour diagrams for the steerable Mexico transmitting and receiving beams and accordingly this aspect of its application is subject to dismissal.3 147 C.F.R. 25.112. 247 C.F.R. 25.114(d)(3). 3We note that in its application, SES Americom requests a limited waiver of Section 25.114(d)(3) of the Commission's rules with respect to the submission of predicted antenna gain contours in .gxt format for the non-Brazilian South American uplink beams. This waiver request does not address the steerable antenna beams covering Mexico. Narrative at 4-5. 12923 Federal
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- S2253) Dear Ms. Hindin: On September 10, 2009, PanAmSat Licensee Corp. (PanAmSat) filed the above-captioned application to modify its authorization to permit relocation of Galaxy 11 from 32.8 E.L. to 76.85 W.L., for the purpose of providing C- and Ku-band capacity in the Atlantic Ocean region. As discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Section 25.114(d)(14)(iv) of the Commission's rules, 47 C.F.R. 25.114(d)(14)(iv), requires entities to include a statement detailing the post-mission disposal plans for
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- SAT-MOD-20090910-00097 (Call Sign: S2253) Dear Ms. Hindin: On September 10, 2009, PanAmSat Licensee Corp. (PanAmSat) filed the above-captioned application to modifyits authorization to permit relocation of Galaxy 11 from 32.8 E.L. to 76.85 W.L., for the purpose of providing C-and Ku-band capacityin the Atlantic Ocean region. As discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, anyspace station application that is not substantiallycomplete, contains internal inconsistencies, or does not substantiallycomplywith the Commission's rules. Section 25.114(d)(14)(iv) of the Commission's rules, 47 C.F.R. 25.114(d)(14)(iv), requires entities to include a statement detailing the post-mission disposal plans for the geostationary-Earth orbit space
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- November 24, 2009 Reid M. Riddell Uplynx, Inc. 25170 Strawberry Lane Southfield, MI 48033 Re: Call Sign: E090130 File No. SES-LIC-20090723-00906 Dear Mr. Riddell: On July 23, 2009, Uplynx, Inc. filed the above-captioned application for authority to operate a Temporary-Fixed Ku-Band Transmit/Receive Earth Station. For the reason discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Uplynx, Inc.'s application is incomplete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Question 28 of Form
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- November 24, 2009 Reid M. Riddell Uplynx, Inc. 25170 Strawberry Lane Southfield, MI 48033 Re: Call Sign: E090130 File No. SES-LIC-20090723-00906 Dear Mr. Riddell: On July 23, 2009, Uplynx, Inc. filed the above-captioned application for authority to operate a Temporary-Fixed Ku-Band Transmit/Receive Earth Station. For the reason discussed below, we dismiss the application as defective, without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Uplynx, Inc.'s application is incomplete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Question 28 of Form
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- 09-2464 November 24, 2009 Rossa Isme Prime International Management 5584 Arnold Palmer Drive Orlando, FL 32811 Re: Call Sign: E090153 File No: SES-LFS-20090830-01092 Dear Ms. Isme: On August 30, 2009, Alpha Broadcasting, Inc. (Alpha Broadcasting) filed the above captioned application for an earth station operating in the Fixed Satellite Service in the C-band and in the Ku-band. Pursuant to Section 25.112 of the Commission's Rules, 47 C.F.R. 25.112, we dismiss the application as defective without prejudice. Section 25.112 of the Commission's rules requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Alpha Broadcasting's application is incomplete, which renders it unacceptable
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- 09-2464 November 24, 2009 Rossa Isme Prime International Management 5584 Arnold Palmer Drive Orlando, FL 32811 Re: Call Sign: E090153 File No: SES-LFS-20090830-01092 Dear Ms. Isme: On August 30, 2009, Alpha Broadcasting, Inc. (Alpha Broadcasting) filed the above captioned application for an earth station operating in the Fixed Satellite Service in the C-band and in the Ku-band. Pursuant to Section 25.112 of the Commission's Rules, 47 C.F.R. 25.112, we dismiss the application as defective without prejudice. Section 25.112 of the Commission's rules requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Alpha Broadcasting's application is incomplete, which renders it unacceptable
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- Washington, DC 20006-6801 Re: Call Sign E080145 File Number: SES-MOD-20090818-01024 Dear Mr. Wheeler: On August 18, 2009, Harris Corporation (Harris) filed a modification application to add emission designators, add transmit extended-Ku band frequencies, increase existing EIRP and EIRP density levels, correct the existing antenna information on the license, and rename the antenna's site ID on the license. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R 25.112(a)(1), we dismiss the application, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Harris's application does not
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- Suite 100 Washington, DC 20006-6801 Re: Call Sign E080145 File Number: SES-MOD-20090818-01024 Dear Mr. Wheeler: On August 18, 2009, Harris Corporation (Harris) filed a modification application to add emission designators,1add transmit extended-Ku band frequencies,2increase existing EIRP and EIRP density levels, correct the existing antenna information on the license, and rename the antenna's site ID on the license. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R 25.112(a)(1), we dismiss the application, without prejudice to refiling.3 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Harris's application does not comply
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- Slate, Meagher and Flom, P.C. 1440 New York Ave., NW Washington, DC 20005 Re: Call Sign: E090142 File Nos. SES-REG-20090812-00996 Dear Mr. Pawlik: On August 12, 2009, NW Communications of Phoenix, Inc. (NW Communications) filed the above-captioned registration application for a C-Band Receive-Only earth station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. NW Communications' application is incomplete or otherwise inconsistent with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiencies
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- Slate, Meagher and Flom, P.C. 1440 New York Ave., NW Washington, DC 20005 Re: Call Sign: E090142 File Nos. SES-REG-20090812-00996 Dear Mr. Pawlik: On August 12, 2009, NW Communications of Phoenix, Inc. (NW Communications) filed the above-captioned registration application for a C-Band Receive-Only earth station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. NW Communications' application is incomplete or otherwise inconsistent with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiencies
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- Communications of Phoenix (NW Communications), Inc. filed the above-captioned registration application for a C and Ku-band Receive-Only earth station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. All applicants seeking licenses or registrations for Receive-Only earth stations must include all items of information required by FCC Form 312 and its associated Schedule B. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. NW Communications' application is incomplete because it does not include a Frequency Coordination and Interference Analysis Report as required by Section 25.203(c)
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- Communications of Phoenix (NW Communications), Inc. filed the above-captioned registration application for a C and Ku-band Receive-Only earth station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling.1 All applicants seeking licenses or registrations for Receive-Only earth stations must include all items of information required by FCC Form 312 and its associated Schedule B. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. NW Communications' application is incomplete because it does not include a Frequency Coordination and Interference Analysis Report as required by Section 25.203(c)
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- seeks authority to add the Ka-band frequencies in the 18.8-19.3 GHz and 28.6-29.1 GHz frequency bands to its authorization and to operate in these frequencies on a non-interference basis. These frequencies are allocated to the non-geostationary orbit (NGSO) fixed-satellite service (FSS) (``NGSO FSS frequency bands''). For the reasons discussed below, we dismiss the modification application without prejudice to refiling. Section 25.112 of the Commission's rules requires the Commission to return, as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In its filing, ViaSat attached a set of link budget analyses to its Schedule S form, but did not include analyses for the NGSO FSS frequency
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- application, ViaSat seeks authority to add the Ka-band frequencies in the 18.8-19.3 GHz and 28.6-29.1 GHz frequency bands to its authorization and to operate in these frequencies on a non-interferencebasis.2These frequencies are allocated to the non-geostationary orbit (NGSO) fixed-satellite service (FSS) ("NGSO FSS frequency bands"). For the reasons discussed below, we dismiss the modification application without prejudice to refiling. Section 25.112 of the Commission's rules requires the Commission to return, as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules.3In its filing, ViaSat attached a set of link budget analyses to its Schedule S form, but did not include analyses for the NGSO FSS frequency bands
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- Communications Act, 10 FCC Rcd 12759, 12761-62 (1995)] Duran - Hill Inc Station KNUW - Request for Waiver of FY09 regulatory fee. Granted (Nov 05, 2009) [See Implementation of Section 9 of the Communications Act, 10 FCC Rcd 12759, 12761-62 (1995)] EchoStar Satellite Corporation - Request for wavier and refund of application fees. Granted (Nov 05, 2009) [See 47 C.F.R. 25.112(a)] Estuardo Valdemar Rodriquez and Leonor Rodriguez Station - Request for Waiver of FY09 regulatory fee. Granted (Nov 05, 2009) [See Implementation of Section 9 of the Communications Act, 10 FCC Rcd 12759, 12761-62 (1995)] Equity Media Holdings Corporation and Affiliated and Subsidiary Companies Request for waiver of FY09 regulatory fee. Granted (October 27, 2009) [See Assessment and Collection of Regulatory
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- February 18, 2009 Ms. Yolanda Wanat Enlace Christian Television, Inc. 2021 S. Harvard St Irving, TX 75061-1813 Re: Call Sign E090012 File No. SES-LIC-20090127-00075 Dear Ms. Wanat: On January 27, 2009, Enlace Christian Television, Inc. (Enlace Christian Television) filed the above-captioned application for a license to operate an earth station that will communicate in the conventional C-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Enlace Christian
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- DA 09-289 February 18, 2009 Mr. J. Dominic Monahan Valley Broadcasting Company 777 High Street, Suite 300 Eugene, OR 97401 Re: Call Sign E080239 File No. SES-LIC-20081126-01519 Dear Mr. Monahan: On November 26, 2008, Valley Broadcasting Company filed the above-captioned application for a license to operate a new earth station that will communicate in the conventional Ku-Band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Valley Broadcasting
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- Bjornson Mintz, Levin, Cohn, Ferris, Glovsky and Popeo, P.C. 701 Pennsylvania Ave., NW Washington, DC 20004 Re: Call Sign: E080245 File No. SES-REG-20081212-01603 Dear Mr. Bjornson: On December 12, 2008, Cablevision of Warwick, Inc. filed the above-captioned application to register a C-band receive-only earth station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Cablevision of Warwick, Inc. did not submit the Frequency Coordination and Interference Analysis Report as required by rule Section 25.203(c)
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- Mintz, Levin, Cohn, Ferris, Glovsky and Popeo, P.C. 701 Pennsylvania Ave., NW Washington, DC 20004 Re: Call Sign: E080244 File No. SES-REG-20081212-01602 Dear Mr. Bjornson: On December 12, 2008, CSC TKR, Inc. (CSC TKR) filed the above-captioned application to register a C-band receive-only earth station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. CSC TKR did not submit the Frequency Coordination and Interference Analysis Report as required by rule Section 25.203(c) of the
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- Bjornson Mintz, Levin, Cohn, Ferris, Glovsky and Popeo, P.C. 701 Pennsylvania Ave., NW Washington, DC 20004 Re: Call Sign: E080243 File No. SES-REG-20081212-01601 Dear Mr. Bjornson: On December 12, 2008, Cablevision of Rockland/Ramapo, Inc. filed the above-captioned application to register a C-band receive-only earth station. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Cablevision of Rockland/Ramapo, Inc. did not submit the Frequency Coordination and Interference Analysis Report as required by Section 25.203(c) of
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- in the conventional C-and Ku-bands. The application proposes to replace the earth station's C-Band Comtech antenna (model 18 FT Offsat) with a C/Ku-band combination AVL antenna (model 2400C/K), change emission designators for C-band operations, add new emissions designators for Ku-Band operations, lower the input power at the antenna flange level, and change to a temporary-fixed satellite service. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Videocom's application
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- Commission's Permitted Space Station List, IBFS File No. SAT-PPL-20081203-00219 (Call Sign: S2779) Dear Mr. Jansky: On December 3, 2008, HISPAMAR SATLITES, S.A. (HISPAMAR) filed the above-captioned Petition for Declaratory Ruling to add the AMAZONAS-2 satellite, licensed by Brazil, to the Commission's Permitted Space Station List. For reasons discussed below, we dismiss the petition as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Section 25.137(b) of the Commission's rules, 47 C.F.R. 25.137(b), requires entities filing a Petition for Declaratory Ruling to serve the United
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- Cooper Spacenet Services License Sub, Inc. 1750 Old Meadow Road McLean, VA 22102 Re: Call Sign: E990294 File No.: SES-MOD-20090317-00336 Dear Ms. Cooper: On March 17, 2009, Spacenet Services License Sub, Inc. (Spacenet) filed the above-captioned application to modify its earth station license by adding three 1.2 meter antennas. These antennas will operate in the conventional Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss, without prejudice to refiling, that portion of the application that seeks to use the emission 300KG7D. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not
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- Heald & Hildreth, P.L.C. 1300 North 17th Street 11th Floor Arlington, VA 22209 Re: Call Sign E990019 File No. SES-MFS-20090106-00002 Dear Mr. Jazzo: On January 6, 2009, American Samoa License, Inc. (American Samoa) filed the above-captioned application to modify its license to operate in the conventional C-band by adding a 7.3 meter C-band antenna and additional emissions. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss without prejudice to refiling the portion of the application that seeks to use the 51K2G7W emission. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not
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- Spectrum Five Petition at 6-11. 47 C.F.R. 25.202(w). Spectrum Five Petition at 9. DIRECTV Opposition at 2. DIRECTV Opposition at 2. DIRECTV Opposition at 1-3. Spectrum Five Reply at 5. Spectrum Five Reply at 5. Spectrum Five Reply at 5. Spectrum Five Petition at 9. Spectrum Five Petition at 11. See 47 C.F.R. 25.262. See 47 C.F.R. 25.112(a)(2). Spectrum Five Petition at 3-4. Spectrum Five Petition at 2. Spectrum Five Petition at 2 and Technical Appendix. FEDERAL COMMUNICATIONS COMMISSION DA 09-87 FEDERAL COMMUNICATIONS COMMISSION DA 09-87 '' " ? b (c) 0 0 P1 P1 P1 P1 "P1 P1 P1 P1
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- (Earth-to-space) frequency bands. SES Americom also proposes to operate its telecommand carriers in the C-band at 6423.5 MHz, and its telemetry beacons in the Ku-band at 11.702 GHz and 12.198 GHz and in the C-band at 3700.5 MHz and 4199 MHz. For the reason set forth below, we return the application as unacceptable for filing without prejudice to refiling. Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless a waiver of the rules is requested. In its application, SES Americom failed to demonstrate that its
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- GHz (Earth-to-space) frequency bands. SES Americom also proposes to operate its telecommand carriers in the C-band at 6423.5 MHz, and its telemetry beacons in the Ku-band at 11.702 GHz and 12.198 GHz and in the C-band at 3700.5 MHz and 4199 MHz.1For the reason set forth below, we return the application as unacceptable for filing without prejudice to refiling.2 Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless awaiver of the rules is requested.3 1With respect to the 3700.5 MHz and 4199.5 MHz telemetry beacons,
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- orbital location to the 79.05 W.L. orbital location and to operate, if necessary, at the new location using the 11.7-12.2 GHz (space-to-Earth) and 14.0-14.5GHz (Earth-to-space) frequency bands. We find that SES Americom did not disclose, as part of its application, the orbital debris mitigation plans for the AMC-5 space station, as required by Section 25.114 of the Commission's rules. Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internally inconsistent, or does not substantially comply with the Commission's rules unless a waiver of the rules is requested. The Commission's orbital debris mitigation disclosure rules became effective on
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- orbital location to the 79.05 W.L. orbital location and to operate, if necessary, at the new location using the 11.7-12.2 GHz (space-to- Earth) and 14.0-14.5GHz (Earth-to-space) frequencybands. We find that SES Americom did not disclose, as part of its application, the orbital debris mitigation plans for the AMC-5 space station, as required by Section 25.114 of the Commission's rules.1 Section 25.112(a) of the Commission's rules provides that the Commission will return an application as unacceptable for filing if the application is defective with respect to completeness of answers or informational showings, is internallyinconsistent, or does not substantiallycomply with the Commission's rulesunless a waiver of the rules is requested.2 The Commission's orbital debris mitigation disclosure rules became effective on October 19, 2005.3An
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- 10, 2010 Mr. Robert J. Miller Gardere Wynne Sewell LLP 1601 Elm Street, Suite 3000 Dallas, TX 75201 Re: Schlumberger Technology Corporation, Call Sign E100026, IBFS File No.: SES-LIC-20100203-00146 Dear Mr. Miller: On February 3, 2010, Schlumberger Technology Corporation (Schlumberger) filed the above-captioned application seeking authority to operate C-Band and extended C-band Earth Stations on-board Vessels (ESVs). Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling. Schlumberger seeks to operate on the 3650-3700 MHz band for ESV downlink operation. The U.S. Table of Frequency Allocations, Section 2.106 of the Commission's rules, however, has frozen new applications for authority to operate in this frequency band. In addition, Section 25.211 of the Commission's
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- D.C. 20554 DA 10-1471 August 10, 2010 Mr. Robert J. Miller Gardere Wynne Sewell LLP 1601 Elm Street, Suite 3000 Dallas, TX 75201 Re: Schlumberger TechnologyCorporation, Call Sign E100026, IBFS File No.: SES-LIC-20100203-00146 Dear Mr. Miller: On February3, 2010, Schlumberger TechnologyCorporation (Schlumberger) filed the above-captioned application seeking authorityto operate C-Band1and extended C-band2 Earth Stations on-board Vessels (ESVs). Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling.3 Schlumberger seeks to operate on the 3650-3700 MHz band for ESV downlink operation. The U.S. Table of Frequency Allocations, Section 2.106 of the Commission's rules,4 however, has frozen new applications for authorityto operate in this frequencyband. In addition, Section 25.211 of the Commission's rules5does not
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- Edmund Johnson ABS-CBN International 2301 Columbia Blvd Richmond, CA 94804-5407 Re: Call Sign E000584 File Number: SES-MOD-20091229-01632 Dear Mr. Johnson: On December 29, 2009, ABS-CBN International (ABS-CBN) filed a modification application to the above captioned earth station, requesting authority to operate in the 10.95-11.2 GHz and 11.47-11.7 GHz frequency bands, in addition to its currently licensed operations. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R 25.112(a)(1), we dismiss the application without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. ABS-CBN's application does not
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- Edmund Johnson ABS-CBN International 2301 Columbia Blvd Richmond, CA 94804-5407 Re: Call Sign E000584 File Number: SES-MOD-20091229-01632 Dear Mr. Johnson: On December 29, 2009, ABS-CBN International (ABS-CBN) filed a modification application to the above captioned earth station, requesting authority to operate in the 10.95-11.2 GHz and 11.47-11.7 GHz frequency bands, in addition to its currently licensed operations. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R 25.112(a)(1), we dismiss the application without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. ABS-CBN's application does not comply
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- 1213 Houston, TX 77549 Re: Call Sign E090138 File No: SES-LIC-20090807-00971 Dear Mr. Magallanes: On August 7, 2009, Data Technology Solutions (DTS) filed the above-captioned earth station application to operate a network of Earth Stations on-board Vessels (ESVs). The proposed network consists of 250 0.6-meter AZU-06 antenna terminals operating in the conventional Ku-band throughout the United States. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. DTS' application
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- 1213 Houston, TX 77549 Re: Call Sign E090138 File No: SES-LIC-20090807-00971 Dear Mr. Magallanes: On August 7, 2009, Data Technology Solutions (DTS) filed the above-captioned earth station application to operate a network of Earth Stations on-board Vessels (ESVs). The proposed network consists of 250 0.6-meter AZU-06 antenna terminals operating in the conventional Ku- band throughout the United States.1Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling.2 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. DTS' application
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 10-1810 September 24, 2010 Eddie Maalouf Pacific Satellite Connection, Inc. 1629 S Street Sacramento, CA 95811 Re: Call Sign E100009 File Number: SES-LIC-20100108-00051 Dear Mr. Maalouf: On January 8, 2010, Pacific Satellite Connection, Inc. (PSC) filed the above-captioned application for a license to operate a temporary-fixed transmit/receive earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In response to Question 26
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- 8bit Federal Communications Commission Washington, D.C. 20554 DA 10-1810 September 24, 2010 Eddie Maalouf Pacific Satellite Connection, Inc. 1629 S Street Sacramento, CA 95811 Re: Call Sign E100009 File Number: SES-LIC-20100108-00051 Dear Mr. Maalouf: On January 8, 2010, Pacific Satellite Connection, Inc. (PSC) filed the above-captioned application for a license to operate a temporary-fixed transmit/receive earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In response to Question 26
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- 10, 2010, Intelsat North America LLC (Intelsat North America) filed the above-captioned modification application to add ALSAT-designated satellites as points of communication and to add new emission designators to carriers to the license for earth station KA268 that will operate in the conventional C-band frequencies. For reason discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Intelsat North America did not submit the Frequency Coordination and Interference Analysis Report for new emission designators 256KG7W, 36M0G7W, and
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- 2010, Intelsat North America LLC (Intelsat North America) filed the above- captioned modification application to add ALSAT-designated satellites as points of communication and to add new emission designators to carriers to the license for earth station KA268 that will operate in the conventional C-band frequencies1. For reason discussed below, we dismiss the application as defective, without prejudice to refiling.2 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Intelsat North Americadid not submit the Frequency Coordination and Interference Analysis Report for new emission designators 256KG7W, 36M0G7W, and 72M0G7W
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- PanAmSat Licensee Corp. c/o Intelsat Corporation 3400 International Drive, N.W. Washington, D.C. 20008 Re: Call Sign E000048 File No.: SES-MOD-20101004-01271 Dear Ms. Crandall: On October 4, 2010, PanAmSat Licensee Corp. (``PanAmSat'') filed the above-captioned application seeking authority to add points of communications and extended-Ku band frequencies to its fixed-satellite service earth station license for Call Sign E000048. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss a portion of the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with
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- PanAmSat Licensee Corp. c/o Intelsat Corporation 3400 International Drive, N.W. Washington, D.C. 20008 Re: Call Sign E000048 File No.: SES-MOD-20101004-01271 Dear Ms. Crandall: On October 4, 2010, PanAmSat Licensee Corp. ("PanAmSat") filed the above-captioned application seeking authority to add points of communications and extended-Ku band frequencies to its fixed-satellite service earth station license for Call Sign E000048. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss a portion of the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, asunacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules.
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- LLC 66 C USEI Drive Brewster, WA 98812 Re: Call Sign E920585 File No.: SES-MOD-20100617-00709 Dear Mr. Veeder: On June 17, 2010, Denali 20020, LLC (Denali 20020) filed a modification application to add conventional C-band frequencies and emission designators to its existing Ku-band license. For the reasons stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Denali 20020's modification application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The
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- Denali 20020, LLC 66 C USEI Drive Brewster, WA 98812 Re: Call Sign E920585 File No.: SES-MOD-20100617-00709 Dear Mr. Veeder: On June 17, 2010, Denali 20020, LLC (Denali 20020) filed a modification application to add conventional C-band frequencies1and emission designators to its existing Ku-band license.2For the reasons stated below, we dismiss the application as defective without prejudice to refiling.3 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, that contains internal inconsistencies, or that does not substantially comply with the Commission's rules. Denali 20020's modification application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiencies
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit DA 10-2421 December 28, 2010 Mr. Udo Klemm WDR Appellhofplatz 1 Cologne, Germany 5060 Re: WDR File No.: SES-STA-20100505-00551 Dear Mr. Klemm: On May 5, 2010, WDR, filed the above-captioned request for special temporary authority (STA) to operate a temporary-fixed Satellite News Gathering facility (SNG). Pursuant to Section 25.112 (a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. WDR's application is incomplete, and
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit Federal Communications Commission Washington, D.C. 20554 DA 10-2421 December 28, 2010 Mr. Udo Klemm WDR Appellhofplatz 1 Cologne, Germany 5060 Re: WDR File No.: SES-STA-20100505-00551 Dear Mr. Klemm: On May 5, 2010, WDR, filed the above-captioned request for special temporary authority (STA) to operate a temporary-fixed Satellite News Gathering facility (SNG). Pursuant to Section 25.112 (a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. WDR's application is incomplete, and
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- December 28, 2010 Mr. Robert J. Miller Gardere Wynne Sewell LLP 1601 Elm Street, Suite 3000 Dallas, TX 75201 Re: Schlumberger Technology Corporation Call Sign E100029 File No.: SES-LIC-20100217-00203 Dear Mr. Miller: On February 17, 2010, Schlumberger Technology Corporation (Schlumberger) filed the above-captioned application seeking authority to operate a C-Band and extended C-band temporary fixed earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Schlumberger's application is incomplete,
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- DA 10-2422 December 28, 2010 Mr. Robert J. Miller Gardere Wynne Sewell LLP 1601 Elm Street, Suite 3000 Dallas, TX 75201 Re:Schlumberger Technology Corporation Call Sign E100029 File No.: SES-LIC-20100217-00203 Dear Mr. Miller: On February 17, 2010, Schlumberger Technology Corporation (Schlumberger) filed the above- captioned application seeking authority to operate a C-Band1and extended C-band2temporary fixed earth station. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application as defective without prejudice to refiling.3 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Schlumberger's application is incomplete,
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- File No. SAT-RPL-20100120-00014 Call Sign: S2807 Dear Mr. Mah: On January 20, 2010, SES Americom, Inc, d/b/a SES WORLD SKIES, (SES Americom) filed the above-captioned application to launch the SES-1 satellite and operate replacement C- and Ku-band frequencies at the 101 W.L. orbital location. For the reasons discussed below, we dismiss the application, in part, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In this instance, SES Americom's application for launch and operating authority for the SES-1 satellite is missing the technical information for the 17/24 GHz
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- W.L., IBFS File No. SAT-RPL-20100120-00014 Call Sign: S2807 Dear Mr. Mah: On January 20, 2010, SES Americom, Inc, d/b/a SES WORLD SKIES, (SES Americom) filed the above-captioned application to launch the SES-1 satellite and operate replacement C-and Ku-band frequencies at the 101W.L. orbital location. For the reasons discussed below, we dismiss the application, in part, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In this instance, SES Americom's application for launch and operating authority for the SES-1 satellite is missing the technical information for the 17/24 GHz
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- 10-99 January 20, 2010 Mr. Richard Thomas Telesat 1601 Telesat Court Gloucester, ON Canada K1B 5P4 Re: Call Sign E090187 File No.: SES-LIC-20091030-01402 Dear Mr. Thomas: On October 30, 2009, Telesat filed the above-captioned application for a license to operate an earth station that will communicate using a non-routine 2.4 meter antenna operating in the conventional C-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In its
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- DA 10-99 January 20, 2010 Mr. Richard Thomas Telesat 1601 Telesat Court Gloucester, ON Canada K1B 5P4 Re: Call Sign E090187 File No.: SES-LIC-20091030-01402 Dear Mr. Thomas: On October 30, 2009, Telesat filed the above-captioned application for a license to operate an earth station that will communicate using a non-routine 2.4 meter antenna operating in the conventional C-band.1Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. In its
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- use the extended C-band and Ku-band capacity on SES-4 to provide international FSS and limited tracking, telemetry and command (TT&C) operations; and, (3) for market access to provide direct-to-home (DTH) FSS within the United States and between the United States and certain other countries. For the reasons discussed below, we dismiss the application as defective, without prejudice to re-filing. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. New Skies' application is missing information concerning the post-mission orbital debris mitigation plan for the SES-4 space station, which is required by
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- to use the extended C-band and Ku-band capacity on SES-4 to provide international FSS and limited tracking, telemetry and command (TT&C) operations; and, (3) for market access to provide direct-to-home (DTH) FSS within the United States and between the United States and certain other countries. For the reasons discussed below, we dismiss the application as defective, without prejudiceto re-filing. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. New Skies' application is missing information concerning the post-mission orbital debris mitigation plan for the SES-4 space station, which is required by
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- la Noval Overon America 7291 NW 74th Street Miami, FL, 33166 sitioned at 61.0 W.L. using the 6728-6782 MHz frequency band, which is allocated for fixed-satellite service use in accordance with the provisions of Appendix 30B of the International Telecommunications Union (ITU) Radio Regulations. For the reasons discussed below, we dismiss the application as defective, without prejudice to re-filing. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Overon's application has the following deficiencies, which renders the application unacceptable and subject to dismissal: Applicants requesting operating authority for space stations
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- operate a 4.8 meter C-band earth station via the Brazilian Amazonas-2 geostationary satellite positioned at 61.0 W.L.using the 6728-6782 MHz frequencyband, which is allocated for fixed-satellite service use in accordance with the provisions of Appendix 30B of the International Telecommunications Union (ITU) Radio Regulations1. For the reasons discussed below, we dismiss the application as defective, without prejudice to re-filing2. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing anyearth station application that is not substantially complete, contains internal inconsistencies, or does not substantiallycomplywith the Commission's rules. Overon's application has the following deficiencies, which renders the application unacceptable and subject to dismissal: 1. Applicants requesting operating authority for space stations in the
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- Televideo Services, Inc Application for Authority to Operate a C-band Earth Station to communicate with INTELSAT 805 at 340.5 EL (55.5 WL), IBFS File No. SES-LIC-20110520-00616 (Call Sign E110091). Dear Mr. Alviz: On May 20, 2011, Televideo Services, Inc (Televideo) filed the above-captioned application seeking authority to operate a C-band earth station to communicate with the Intelsat 805 satellite. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The Televideo application has the following deficiencies, which renders the application unacceptable and subject to dismissal: The Schedule B of Application Form
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- FL, 33129 Re: Televideo Services, Inc Application for Authorityto Operate a C-band Earth Station to communicate with INTELSAT 805 at 340.5 EL(55.5 WL), IBFS File No. SES-LIC-20110520-00616 (Call Sign E110091). Dear Mr. Alviz: On May20, 2011, Televideo Services, Inc (Televideo) filed the above-captioned application seeking authority to operate a C-band earth station to communicate with the Intelsat 805 satellite. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing anyearth station application that is not substantiallycomplete, contains internal inconsistencies, or does not substantiallycomplywith the Commission's rules. The Televideo application has the following deficiencies, which renders the application unacceptable and subject to dismissal: 1. The Schedule B of Application Form 312 did not
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- Mr. Jeff S. Moon Michigan Satellite Systems 2716 Balsam Way Dr Sterling Heights, MI 48314 Re: Michigan Satellite Systems Application for Authority to Operate a Ku-band SNG Earth Station IBFS File No. SES-LIC-20110721-00849 (Call Sign E010014). Dear Mr. Moon: On July 21, 2011, Michigan Satellite Systems (MSS)) filed the above-captioned application seeking authority to operate a Ku-band earth station. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The MSS application has the following deficiencies, which renders the application unacceptable and subject to dismissal: MSS did not submit the required
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- 11-1343 August 3, 2011 Mr. Jeff S. Moon Michigan Satellite Systems 2716 Balsam WayDr Sterling Heights, MI 48314 Re: Michigan Satellite Systems Application for Authorityto Operate a Ku-band SNG Earth Station IBFS File No. SES-LIC-20110721-00849 (Call Sign E010014). Dear Mr. Moon: On July21, 2011, Michigan Satellite Systems (MSS)) filed the above-captioned application seeking authorityto operate a Ku-band earth station. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantiallycomplete, contains internal inconsistencies, or does not substantiallycomply with the Commission's rules. The MSS application has the following deficiencies, which renders the application unacceptable and subject to dismissal: 1. MSS did not submit the required Schedule
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- Long Tighe Patton, PLLC 1747 Pennsylvania Ave., NW, Suite 300 Washington, DC 20006 Re: Modification Application of Orbcomm License Corp. IBFS File No. SAT-MOD-20110801-00141 Call Sign: S2103 Dear Mr. Sonnenfeldt and Mr. Goodman: On August 1, 2011, Orbcomm License Corp. filed the referenced application to modify the license for Orbcomm's non-voice, non-geostationary, low-Earth orbit (Little LEO) satellites. Pursuant to Section 25.112 of the Commission's rules, we are dismissing the application as incomplete. Furthermore, we ask that in any re-filed application, Orbcomm address a number of questions which, while not grounds for dismissal, will facilitate Commission processing of the application. Section 25.114(d)(14)(ii) requires an applicant to indicate that the ``space station operator has assessed and limited the probability of accidental explosions during
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- Long Tighe Patton, PLLC 1747 Pennsylvania Ave., NW, Suite 300 Washington, DC 20006 Re: Modification Application of Orbcomm License Corp. IBFS File No. SAT-MOD-20110801-00141 Call Sign: S2103 Dear Mr. Sonnenfeldt and Mr. Goodman: On August 1, 2011, Orbcomm License Corp. filed the referenced application to modify the license for Orbcomm's non-voice, non-geostationary, low-Earth orbit (Little LEO) satellites. Pursuant to Section 25.112 of the Commission's rules,1we are dismissing the application as incomplete. Furthermore, we ask that in any re-filed application, Orbcomm address a number of questions which, while not grounds for dismissal, will facilitate Commission processing of the application. Section 25.114(d)(14)(ii) requires an applicant to indicate that the "space station operator has assessed and limited the probabilityof accidental explosions during and after
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- McKinney Glenwood Telecommunications, Inc. 357, 510 West Gage Street Blue Hill, NE 68930-8000 Re: Call Sign KY96 File No.: SES-REG-20110822-00982 Dear Ms. McKinney: On August 22, 2011, Glenwood Telecommunications, Inc. (Glenwood Telecommunications) filed the above-captioned registration application for a C-Band Receive-Only earth station. For the reason stated below, we dismiss the registration application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Glenwood Telecommunications' application is not substantially complete which renders it unacceptable and subject to dismissal. Section 25.115(a)(1) of the Commission's rules, 47
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- Ms. Connie McKinney Glenwood Telecommunications, Inc. 357, 510 West Gage Street Blue Hill, NE 68930-8000 Re: Call Sign KY96 File No.: SES-REG-20110822-00982 Dear Ms. McKinney: On August 22, 2011, GlenwoodTelecommunications, Inc. (Glenwood Telecommunications) filed the above-captioned registration application for a C-Band Receive-Only earth station.1For the reason stated below, we dismiss the registration application as defective, without prejudice to refiling.2 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Glenwood Telecommunications' application is not substantially complete which renders it unacceptable and subject to dismissal. Section 25.115(a)(1) of the Commission's rules, 47
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- Woodley Road McLean VA 22101-3345 Re: File No.: SES-ASG-20110927-01147 Dear Mr. Talens: On September 26, 2011, AtContact Communications, LLC (AtContact), and Alaska Telecom, Inc. (Alaska Telecom), filed the referenced application for assignment of a VSAT system, call sign E040025, from AtContact to Alaska Telecom. For the reason stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. AtContact and Alaska Telecom's application is not substantially complete and/or inconsistent, which renders it unacceptable and subject to dismissal. The deficiency is
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- 6017 Woodley Road McLean VA 22101-3345 Re: File No.:SES-ASG-20110927-01147 Dear Mr. Talens: On September 26, 2011, AtContact Communications, LLC (AtContact), and Alaska Telecom, Inc. (Alaska Telecom), filed the referenced application for assignment of a VSAT system, call sign E040025, from AtContact to Alaska Telecom. For the reason stated below, we dismiss the application as defective without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. AtContact and Alaska Telecom's application is not substantially complete and/or inconsistent, which renders it unacceptable and subject to dismissal. The deficiency is as
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- 1187 Washington, D.C. 20045 Re: Callsign E110009 File No.: SES-LIC-20110207-00119 Dear Ms. Serdar: On February 7, 2011, IHLAS HABER AJANSI IHA filed the above-captioned application for a license for a new transmit/receive mobile satellite service earth station license operating in the standard Ku-band frequencies. For the reason stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. IHLAS HABER AJANSI IHA's application is not substantially complete, which renders it unacceptable and subject to dismissal. The deficiency is as follows:
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- 1187 Washington, D.C. 20045 Re: Callsign E110009 File No.: SES-LIC-20110207-00119 Dear Ms. Serdar: On February 7, 2011, IHLAS HABER AJANSI IHA filed the above-captioned application for a license for a new transmit/receive mobile satellite service earth station license operating in the standard Ku-band frequencies. For the reason stated below, we dismiss the application as defective without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does notsubstantially comply with the Commission's rules. IHLAS HABER AJANSI IHA's application is not substantially complete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Section 25.115(a)(1)
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- for its fixed satellite service (FSS) earth station (call sign E040267) to add the Russian Express AM44 space station, which is operating at the 11( W.L. orbital location, as a point of communication, using the 5925-6525 MHz (uplink) and 3650-4200 MHz (downlink) frequency bands. For the reasons stated below, we dismiss the application, as amended, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Further, Section 25.137(b) of the Commission's rules, 47 C.F.R. 25.137(b), states that applications for earth stations seeking to access a non-U.S.-licensed space station,
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- license for its fixed satellite service (FSS)earth station (call sign E040267) to add the Russian Express AM44 space station, which is operating at the 11 W.L. orbital location, as a point of communication, using the 5925-6525 MHz (uplink) and 3650-4200 MHz (downlink) frequency bands.1 For the reasons stated below, we dismiss the application, as amended, without prejudice to refiling.2 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Further, Section 25.137(b) of the Commission's rules, 47 C.F.R. 25.137(b), states that applications for earth stations seeking to access a non-U.S.-licensed space station, such
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- 20036 Re: File No.: SES-ASG-20110502-00544 Dear Ms. Swanson: On May 2, 2011, NYT Management Services, Inc. and LDB Media LLC filed the referenced application for assignment of a temporary fixed earth station, call sign E070084, from NYT Management Service, Inc., to LDB Media LLC. For the reason stated below, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. NYT Management Services, Inc.'s application is not substantially complete, which renders it unacceptable and subject to dismissal. The deficiency is as follows:
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- 20036 Re: File No.: SES-ASG-20110502-00544 Dear Ms. Swanson: On May 2, 2011, NYT Management Services, Inc. and LDB Media LLC filed the referenced application for assignment of a temporary fixed earth station, call sign E070084, from NYT Management Service, Inc., to LDB Media LLC. For the reason stated below, we dismiss the application as defective without prejudice to refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. NYT Management Services, Inc.'s application is not substantially complete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: The
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- 10001 Woodloch Forest Dr #360 The Woodlands, TX 77380- USA Re: Request for Special Temporary Authority (STA) File No.: SES-STA-20100831-01110 Dear Mr. Hyde: On August 17, 2010, Afren USA Inc (Afren), filed the above-captioned request for special temporary authority (STA) to operate a fixed-satellite service transmit/receive earth station facility, which it describes as ``Temporary private VSAT network.'' Pursuant to Section 25.112 (a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Afren's application is incomplete, and
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- Inc. 10001 Woodloch Forest Dr #360 The Woodlands, TX 77380-USA Re: Request for Special Temporary Authority (STA) File No.: SES-STA-20100831-01110 Dear Mr. Hyde: On August 17, 2010, Afren USA Inc (Afren), filed the above-captioned request for special temporary authority (STA) to operate a fixed-satellite service transmit/receive earth station facility, which it describes as "Temporary private VSAT network." Pursuant to Section 25.112 (a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss this application without prejudice to refiling. 1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Afren's application is incomplete,
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- 8bit R : DA 12-1005 June 28, 2012 Mr. Jerod Fremin Alascom, Inc. 501 E. Bluff Drive Anchorage, AK 99501 Call Sign: E3032 File No.: SES-MOD-20120404-00331 Dear Mr. Fremin: On April 4, 2012, Alascom, Inc. (Alascom) filed the above-captioned application to modify its current license for its transmit/receive earth station that operates in the conventional C-band frequencies. Pursuant to Section 25.112 of the Commission's rules, we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Alascom's application, which is incomplete and does not comply with
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- 12444 Powerscourt Drive Suite 450 St. Louis, MO 63131 Re: Call Sign: KE89 File No.: SES-REG-20120209-00150 Dear Mr. Zarrilli: On February 9, 2012, Cebridge Acquisition, L.P. (Cebridge) filed the above captioned application to register a new fixed C-band (3700-4200 MHz) receive-only earth station. For the reasons set forth below, we dismiss the application as defective without prejudice to re-filing. Section 25.112(a) of the Commission's rules, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, or does not comply with the Commission's rules. The C-band allocation is shared, on a primary basis, between ``Satellite Communications'' and ``Fixed Microwave'' stations. Cebridge failed to comply with the frequency coordination requirements of Section 25.203(b) of the
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- Hill, VA 20171 Re: Call Sign E120044 File No. SES-LIC-20120221-00231 Dear Ms. Kriznic: On February 21, 2012, Equant, Inc. (Equant) filed the above captioned application to modify its earth station authorization. Specifically, Equant seeks authority to provide Ku-band Earth Station on Vessel (ESV) services. For the reason stated below, we dismiss this application as defective without prejudice to refiling. Section 25.112(a) of the Commission's rules, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, or does not comply with the Commission's rules. Equant's application does not comply with the Commission's rules, rendering it unacceptable and subject to dismissal. In its response to FCC Form 312 Schedule B E47, which requires applicants to
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- Street, N.W. Washington, D.C. 20036-3614 Re: Hispamar Satellite S.A. IBFS File No. SAT-LOA-20111223-00249 Call Sign: S2853 Dear Mr. Jansky: On December 23, 2011, Hispamar Satellite S.A. (Hispamar) filed the above-captioned application regarding the Amazonas-3 satellite at 61 W.L., which Hispamar states is licensed by Brazil. For reasons discussed below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Hispamar's application consists solely of a Form 312 and does not provide any information about the space station's technical operations, as required
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- Inc. 1120 19thStreet, N.W. Washington, D.C. 20036-3614 Re: Hispamar Satellite S.A. IBFS File No. SAT-LOA-20111223-00249 Call Sign: S2853 Dear Mr. Jansky: On December 23, 2011, Hispamar Satellite S.A. (Hispamar) filed the above-captioned application regarding the Amazonas-3 satellite at 61 W.L., which Hispamar states is licensed by Brazil.1For reasons discussed below, we dismiss the application as defective,without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Hispamar's application consists solely of a Form 312 and does not provide any information about the space station's technical operations, as required
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- Ms. Megan Stull Google Fiber, Inc. 1101 New York Avenue, NW Washington, DC 20005 Call Sign: E110180 File No.: SES-REG-20111216-01461 Dear Ms. Stull: On December 16, 2011, Google Fiber, Inc. (Google Fiber) filed the above-captioned application for a registration of a receive-only earth station to operate in the conventional C-, conventional Ku-, and extended Ku-- frequency bands. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. 25.112(a)(2), we dismiss portions of the application for the reason set forth below. First, we dismiss the request to register the earth station in the conventional Ku-band frequencies of 11.7-12.2 GHz. The Commission has previously determined that it is not necessary to license or register receive-only earth stations operating in the 11.7-12.2 GHz
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- February2, 2012 Ms. Megan Stull Google Fiber, Inc. 1101 New York Avenue, NW Washington, DC 20005 Call Sign: E110180 File No.: SES-REG-20111216-01461 Dear Ms. Stull: On December 16, 2011, Google Fiber, Inc. (Google Fiber) filed the above-captioned application for a registration of a receive-only earth station to operate in the conventional C-, conventional Ku-, and extended Ku--frequencybands. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. 25.112(a)(2), we dismiss portions of the application for the reason set forth below. First, we dismiss the request to register the earth station in the conventional Ku-band frequencies of 11.7-12.2 GHz. The Commission has previously determined that it is not necessaryto license or register receive-only earth stations operating in the 11.7-12.2 GHz frequencyband
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- Inc. Attention: Mr Gary Curtis 14820 Sherman Way Van Nuys, CA 91405-2233 Re: Call Sign E970117 File No.: SES-LIC-20111013-01219 Dear Mr. Curtis: On October 13, 2011, Life On The Way Communications Inc. filed the above-captioned license application for a Fixed Satellite Transmit-Only earth station. For the reasons stated below, we dismiss the application as defective, without prejudice to re-filing. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The Life On The Way Communications Inc. application has the following deficiencies, which render the application unacceptable and subject to dismissal: Section
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- Way Communications, Inc. Attention: Mr GaryCurtis 14820 Sherman Way Van Nuys, CA 91405-2233 Re: Call Sign E970117 File No.: SES-LIC-20111013-01219 Dear Mr. Curtis: On October 13, 2011, Life On The Way Communications Inc.filed the above-captioned license application for a Fixed Satellite Transmit-Only earth station. For the reasons stated below, we dismiss the application as defective, without prejudice to re-filing. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantiallycomplywith the Commission's rules. The Life On The Way Communications Inc.application has the following deficiencies, which render the application unacceptable and subject to dismissal: Section 25.130(a) of the
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- DA 12-160 February 8, 2012 West Virginia University Attention: John Duwall One Waterfront Place Room 1002 Morgantown, WV 26506-6877 Re: Call Sign E110182 File No.: SES-LIC-20111219-01468 Dear Mr. Duwall: On December 19, 2011, West Virginia University filed the above-captioned license application for a Fixed Satellite Transmit/Receive earth station. For the reasons stated below, we dismiss the application as defective. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The West Virginia University application has the following deficiency, which renders the application unacceptable and subject to dismissal: Section 25.130(a) of the
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- DA 12-160 February 8, 2012 West Virginia University Attention: John Duwall One Waterfront Place Room 1002 Morgantown, WV 26506-6877 Re: Call Sign E110182 File No.: SES-LIC-20111219-01468 Dear Mr. Duwall: On December 19, 2011, West Virginia University filed the above-captioned license application for a Fixed Satellite Transmit/Receive earth station. For the reasons stated below, we dismiss the application as defective. Section 25.112 of the Commission's rules, 47C.F.R. 25.112, requires the Commission to return as unacceptable for filing anyearth station application that is not substantiallycomplete, contains internal inconsistencies, or does not substantiallycomplywith the Commission's rules. The West Virginia University application has the following deficiency, which renders the application unacceptable and subject to dismissal: Section 25.130(a) of the Commission's rules, 47 C.F.R. 25.130(a)
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- E960499 File No.: SES-MOD-20111224-01506 Dear Mr. Magallanes: On December 24, 2011, Harris CapRock Communications, Inc. (Harris) filed the above-captioned modification application to add to its licensed fixed earth station a new Andrew 3.7 meter antenna (Type ES37-2LPC37) to operate in the conventional C-band frequencies. For the reasons stated below, we dismiss the application as defective, without prejudice to re-filing. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The Harris application has the following deficiencies, which render the application unacceptable and subject to dismissal: 1. In Schedule B, item E40,
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- E960499 File No.: SES-MOD-20111224-01506 Dear Mr. Magallanes: On December 24, 2011, Harris CapRock Communications, Inc. (Harris) filed the above-captioned modification application to add to its licensed fixed earth station a new Andrew 3.7 meter antenna (Type ES37-2LPC37) to operate in the conventional C-band frequencies.1 For the reasons stated below, we dismiss the application as defective, without prejudice to re-filing.2 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantiallycomplete, contains internal inconsistencies, or does not substantiallycomply with the Commission's rules. The Harris application has the following deficiencies, which render the application unacceptable and subject to dismissal: 1. In Schedule B, item E40, the maximum
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- NW 60th Street Suite C Gainesville, FL 32607 Call Sign: E120035 File No.: SES-LIC-20120221-00190 Dear Mr. Wilhour: On February 21, 2012, Alabama Educational Television Commission (Alabama Educational) filed the above-captioned application for a license to operate a new transmit and receive temporary-fixed earth station that will use a Norsat 1.8 meter antenna operating in the conventional Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The Alabama
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- Inc. 507 NW 60thStreet Suite C Gainesville, FL 32607 Call Sign: E120035 File No.: SES-LIC-20120221-00190 Dear Mr. Wilhour: On February 21, 2012, Alabama Educational Television Commission (Alabama Educational) filed the above-captioned application for a license to operate a new transmit and receive temporary-fixed earth station that will use a Norsat 1.8 meter antenna operating in the conventional Ku-band.1Pursuant to Section 25.112(a)(1) of the Commission's rules, 47 C.F.R. 25.112(a)(1), we dismiss the application as defective without prejudice to refiling.2 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, asunacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The Alabama Educational application
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- 02026 Re: File No.: SES-ASG-20110506-00559 Dear Mr. Cook: On May 6, 2011, Videocom Satellite Associates, Inc. (Videocom) and Metrovision Production Group, LLC (Metrovision), filed the referenced application for assignment of four earth stations, call signs E980388, E990026, E890129, and E990347, from Videocom to Metrovision. For the reason stated below, we dismiss the application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The application is not substantially complete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Question A21 of
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- MA 02026 Re: File No.: SES-ASG-20110506-00559 Dear Mr. Cook: On May 6, 2011, Videocom Satellite Associates, Inc. (Videocom) and Metrovision Production Group, LLC (Metrovision), filed the referenced application for assignment of four earth stations, call signs E980388, E990026, E890129, and E990347, from Videocom to Metrovision. For the reason stated below, we dismiss the application as defective, without prejudiceto refiling.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The application is not substantially complete, which renders it unacceptable and subject to dismissal. The deficiency is as follows: Question A21 of FCC
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- Inc. Lerman Senter PLLC 2000 K Street, NW Suite 600 Washington, DC 20006 Re: Skybox Imaging, Inc., IBFS File No. SAT-LOA-20111222-00246 (Call Sign: S2851) Dear Mr. Baruch: This letter dismisses, as unacceptable for filing, the above-referenced application for launch and operating authority for two non-geostationary-orbit (NGSO) Earth Exploration Satellite Service (EESS) space stations filed by Skybox Imaging, Inc. (Skybox). Section 25.112(a) of the Commission's rules states that an application will be returned as unacceptable for filing if it is not substantially complete and consistent with the Commission's rules. Skybox's NGSO EESS application fails to provide information required by three provisions of the Commission's rules: (1) the predicted gain contours required by Section 25.114(d)(3); (2) a link performance analysis required by Section
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- Inc. Lerman Senter PLLC 2000 K Street, NW Suite 600 Washington, DC 20006 Re: Skybox Imaging, Inc., IBFS File No. SAT-LOA-20111222-00246 (Call Sign: S2851) Dear Mr. Baruch: This letter dismisses, as unacceptable for filing, the above-referenced application for launch and operating authority for two non-geostationary-orbit (NGSO) Earth Exploration Satellite Service (EESS) space stations filed by Skybox Imaging, Inc. (Skybox).1 Section 25.112(a) of the Commission's rules states that an application will be returned as unacceptable for filing if it is not substantially complete and consistent with the Commission's rules.2Skybox's NGSO EESS application fails to provide information required by three provisions of the Commission's rules: (1) the predicted gain contours required by Section 25.114(d)(3); (2) a link performance analysis required by Section 25.114(d)(4)
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- date the application is filed in the International Bureau Filing System (IBFS). If payment is not received within 14 days, the rule requires us to dismiss the application. As of the date of this letter, which is 17 days after DIRECTV filed the applications, there is no record in IBFS that DIRECTV has paid the required application fees. Second, Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The applications relating to Call Signs S2859 and S2860 contain inconsistent information regarding the type of application being filed and the orbital
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- date the application is filed in the International Bureau Filing System (IBFS). If payment is not received within 14 days, the rule requires us to dismiss the application. As of the date of this letter, which is 17 days after DIRECTV filed the applications, there is no record in IBFS that DIRECTV has paid the required application fees. Second, Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing, any space station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The applications relating to Call Signs S2859 and S2860 contain inconsistent information regarding the type of applicationbeing filed and the orbital location
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- Content-Type: text/plain Content-Transfer-Encoding: 8bit anka: This letter dismisses, as unacceptable for filing, the above-referenced application of GeoEye Licensee Corp. to modify its license to operate a constellation of non-geostationary-orbit Earth Exploration Satellite Service space stations to add authority to operate a new satellite. Section 25.112(a) of the Commission's rules states that an application will be returned as unacceptable for filing if it is not substantially complete and consistent with the Commission's rules. GeoEye's application fails to provide the predicted gain contours required by Section 25.114(d)(3) of the rules. We therefore dismiss the application without prejudice to re-filing. Sincerely, Robert G. Nelson Chief, Satellite Division International
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- Street, NW Suite 1000 Washington, DC 20004-1304 Re: GeoEye Licensee Corp., IBFS File No. SAT-MOD-20120210-00016 (Call Sign: S2348) Dear Mr. Janka: This letter dismisses, as unacceptable for filing, the above-referenced application of GeoEye Licensee Corp. to modify its license to operate a constellation of non-geostationary-orbit Earth Exploration Satellite Service space stations to add authority to operate a new satellite. Section 25.112(a) of the Commission's rules states that an application will be returned as unacceptable for filing if it is not substantially complete and consistent with the Commission's rules.1GeoEye's application failsto provide the predicted gain contours required by Section 25.114(d)(3) of the rules.2We therefore dismiss the application without prejudice to re-filing.3 Sincerely, Robert G. Nelson Chief, Satellite Division International Bureau 147 C.F.R.
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- Television Inc. P.O. Box 1800 Raleigh, NC 27602 Call Sign: E920099 File No.: SES-MOD-20120301-00230 Dear Mr. Prak: On March 1, 2012, Des Moines Hearst Television Inc. (Des Moines Hearst) filed the above-captioned modification application to change a licensed fixed-satellite service (FSS) earth station operating in the conventional Ku-band frequencies from a Transmit/Receive facility to a Receive-Only facility. Pursuant to Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. 25.112(a)(2), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The Des
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- Television Inc. P.O. Box 1800 Raleigh, NC 27602 Call Sign: E920099 File No.: SES-MOD-20120301-00230 Dear Mr. Prak: On March 1, 2012, Des Moines Hearst Television Inc. (Des Moines Hearst) filed the above- captioned modification application to change a licensed fixed-satellite service (FSS) earth station operating in the conventional Ku-band frequencies from a Transmit/Receive facility to a Receive- Only facility.1Pursuant toSection 25.112(a)(2) of the Commission's rules, 47 C.F.R. 25.112(a)(2), we dismiss the application as defective without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The Des Moines
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- & Grange 8280 Greensboro Dr. 7th Floor McLean, VA, 22101 File No.: SES-STA-20110913-01082 Dear Mr. Warner: On September 13, 2011, KSBJ EDUCATIONAL FOUNDATION (KSBJ) filed the above-captioned application for Special Temporary Authority (STA) to operate a Fixed-Satellite Transmit/Receive Earth Station in Humble, TX. For the reasons stated below, we dismiss the STA application as defective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The KSBJ application is incomplete, and subject to dismissal, for the following reasons: Section 25.120(a) of the Commission's rules, 47 C.F.R. 25.120(a) requires
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- WrayFitch, Esq. Gammon & Grange 8280 Greensboro Dr. 7th Floor McLean, VA, 22101 File No.: SES-STA-20110913-01082 Dear Mr. Warner: On September 13, 2011, KSBJ EDUCATIONAL FOUNDATION(KSBJ) filed the above-captioned application for Special TemporaryAuthority (STA) to operate a Fixed-Satellite Transmit/Receive Earth Station in Humble, TX. For the reasons stated below, we dismiss the STA application asdefective, without prejudice to refiling. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return, as unacceptable for filing, anyearth station application that is not substantiallycomplete, contains internal inconsistencies, or does not substantiallycomply with the Commission's rules. The KSBJ application is incomplete, and subject to dismissal, for the following reasons: Section 25.120(a) of the Commission's rules, 47 C.F.R. 25.120(a) requires STA requests to
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- 2012 Mr. Tracey L. Frohn CoverEdge, Inc. P. O. Box 14925 Las Vegas, NV 89114 File No.: SES-MSC-20120328-00315 Dear Mr. Frohn: On March 28, 2012, CoverEdge, Inc. (CoverEdge) filed the above-captioned application for a license to operate a new transmit/receive fixed earth station. We dismiss the application as defective, without prejudice to re-filing, for the reasons set forth below. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. The CoverEdge application has the following deficiencies, which render the application unacceptable and subject to dismissal: CoverEdge did not provide information in
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- 16, 2012 Mr. TraceyL. Frohn CoverEdge, Inc. P. O. Box 14925 Las Vegas, NV 89114 File No.: SES-MSC-20120328-00315 Dear Mr. Frohn: On March 28, 2012, CoverEdge, Inc. (CoverEdge) filed the above-captioned application for a license to operate a new transmit/receive fixed earth station. We dismiss the application as defective, without prejudice to re-filing, for the reasons set forth below.1 Section 25.112 of the Commission's rules, 47 C.F.R. 25.112, requires the Commission to return as unacceptable for filing any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantiallycomply with the Commission's rules. The CoverEdge application has the following deficiencies, which render the application unacceptable and subject to dismissal: CoverEdge did not provide information in response
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- provide a Schedule S and attached exhibits, which are necessary to demonstrate compliance with the Commission's legal and technical rules. Without this information, we are unable to process your application. We therefore dismiss the application without prejudice to re-filing. Sincerely, Fern J. Jarmulnek Deputy Chief, Satellite Division International Bureau 47 Code of Federal Regulations (C.F.R.) 25.114(a). 47 C.F.R. 25.112(a). JayCee James states it is a non-commercial educational (NCE) licensee and is therefore exempt from fees. See JayCee James Application, Form 312, at Question 17c. If JayCee James re-files the application, it must provide information to show that it is an NCE licensee and exempt from fees, as explained in Section 1.1116 of the Commission's rules, 47 C.F.R. 1.1116.
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- not provide a Schedule S and attached exhibits, which are necessary to demonstrate compliance with the Commission's legal and technical rules. Without this information, we are unable to process your application. We therefore dismiss the application without prejudice to re-filing.3 Sincerely, Fern J. Jarmulnek Deputy Chief, Satellite Division International Bureau 147 Code of FederalRegulations (C.F.R.) 25.114(a). 247 C.F.R. 25.112(a). 3JayCee James states it is a non-commercial educational (NCE) licensee and is therefore exempt from fees. SeeJayCee James Application, Form 312, at Question 17c. If JayCee James re-files theapplication, it must provide information to show that it is an NCE licensee and exempt from fees, as explained in Section 1.1116 of the Commission's rules, 47 C.F.R. 1.1116. 4347
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- transfer of control application.}{\rtlch\fcs1 \af0\afs24 \ltrch\fcs0 \cs23\fs24\super \chftn {\footnote \ltrpar \pard\plain \ltrpar \s21\ql \li0\ri0\sa120\widctlpar\wrapdefault\aspalpha\aspnum\faauto\adjustright\ rin0\lin0\itap0 \rtlch\fcs1 \af0\afs20\alang1025 \ltrch\fcs0 \fs20\cf1\lang1033\langfe1033\cgrid\langnp1033\langfenp1033 {\rtlch\fcs1 \af0 \ltrch\fcs0 \cs23\super \chftn }{ \rtlch\fcs1 \af0 \ltrch\fcs0 Liberty Media filed the referenced IBFS application using the form for a request for special temporary authority, rather than for a transfer of control, and did not request a waiver of section 25.112(a)(1) of the Commission \rquote s rules, which states that an application is unacceptable for filing if \'93the application is defective with respect to completeness of answers to questions, informational showings, inter nal inconsistencies, execution, or other matters of a formal character.\'94 47 C.F.R. \'a7 25.112(a)(1). The Experimental Radio Service also has a rule which states that \'93 applications that are
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- intention of doing so.") 2Letter from Robert L. Hoegle, Counsel to Liberty Media Corporation, to Mindel De La Torre, Chief, International Bureau, Federal Communications Commission (Mar. 6, 2012). 3Liberty Media filed the referenced IBFS application using the form for a request for special temporary authority, rather than for a transfer of control, and did not request a waiver of section 25.112(a)(1) of the Commission's rules, which states that an application is unacceptable for filing if "the application is defective with respect to completeness of answers to questions, informational showings, internal inconsistencies, execution, or other matters 5036 Federal Communications Commission DA 12-717 On March, 30, 2012, Sirius filed a Petition to Dismiss or DenyLiberty Media's applications stating that there are deficiencies in
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- Dear Mr. Beeler: On March 20 2012, Comtech EF Data Corp. (Comtech) filed the above-captioned application for a license to operate new 1.0, 1.2, 1.8, and 2.4-meter transmit/receive earth stations in the conventional Ku-band. For the reason explained below, we dismiss that portion of the application that proposes to operate a 1.0-meter General Dynamics antenna without prejudice to re-filing. Section 25.112(a) of the Commission's rules requires the Commission to return, as unacceptable for filing, any earth station application that is not substantially complete, contains internal inconsistencies, or does not substantially comply with the Commission's rules. Comtech's application does not comply with the Commission's rules, which renders it unacceptable and subject to dismissal. The deficiency is as follows: In response to Question
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- 7, 2011, Globecomm Systems, Inc. (Globecomm) filed the referenced application seeking special temporary authority to operate an earth statio n to communicate with the XTAR-LANT satellite using the 7.25-7.75 and 7.9-8.4 GHz frequency bands. For the reason stated below, we dismiss the application. \par }\pard \ltrpar\ql \li0\ri0\widctlpar\wrapdefault\aspalpha\aspnum\faauto\adjustright\rin0\l in0\itap0 {\rtlch\fcs1 \af0 \ltrch\fcs0 \par }\pard \ltrpar\ql \fi720\li0\ri0\widctlpar\wrapdefault\aspalpha\aspnum\faauto\adjustright\ rin0\lin0\itap0 {\rtlch\fcs1 \af0 \ltrch\fcs0 Section 25.112 of the Commission\rquote s rules, 47 C.F.R. }{\rtlch\fcs1 \af36 \ltrch\fcs0 \f36 \'a7}{\rtlch\fcs1 \af0 \ltrch\fcs0 25.112 (a)(2), requires the Commission to return, as unacceptable for filing, any earth station application that does not substantially comply with the Commission\rquote s rules. The 7.25-7.75 and 7.9-8.4 GHz frequency bands are not allocated for use by non-federal fixed satellite service operations under Section 2.106
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- Hildreth 1300 North 17thStreet 11thFloor Arlington VA 22209 Re: File No.: SES-STA-20111007-01200 Dear Ms. McClure: On October 7, 2011, Globecomm Systems, Inc. (Globecomm) filed the referenced application seeking special temporary authority to operate an earth station to communicate with the XTAR-LANT satellite using the 7.25-7.75 and 7.9-8.4 GHz frequency bands. For the reason stated below, we dismiss the application. Section 25.112 of the Commission's rules, 47 C.F.R. 25.112 (a)(2), requires the Commission to return, as unacceptable for filing, any earth station application that does not substantially comply with the Commission's rules. The 7.25-7.75 and 7.9-8.4 GHz frequency bands are not allocated for use by non-federal fixed satellite service operations under Section 2.106 of the Commission's rules, and federal station operations are
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- one-step financial rule). Thus, we also deem Hughes's comments on Columbia's 1996 Waiver Request to be moot because those comments address the issue of one-step versus two-step financial qualification rules, rather than Columbia's current request for waiver of the financial qualification rules overall. 20 47 U.S.C. 309. 21 Id. 22 Id. 23 47 C.F.R. 25.140. 24 47 C.F.R. 25.112 (b)(l)-(2). 25 47 C.F.R. 25.140 (b)(3)-(4). 26 See Letters from Kenneth Gross, President, Columbia Communications to William Caton, Acting Secretary, FCC, July 25, 1997. 3322 DA 99-134 (MCHI), Constellation Communications, Inc. (Constellation), and Teledesic Corporation (Teledesic).27 In these cases, the Bureau waived the financial qualification rules because it could accommodate all pending applicants in the available spectrum and orbital
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- Earth Stations Grant of Authority Nature of Service:Domestic Fixed Satellite Service SITE ID: TDX 1 8717 DIAMOND D CIRCLE, ANCHORAGE, ANCHORAGE, AK LOCATION: E000079 SES-LIC-20000208-00182 VIDEOCOM, INC. Application for Authority Date Effective: 06/19/2000 Class of Station: Temporary Fixed Earth Station Dismissed by Commission Order Nature of Service:Domestic Fixed Satellite Service APPLICATION IS UNACCEPTABLE FOR FILING AND DISMISSED PURSUANT TO SECTION 25.112(A)(2). SITE ID: 1 VARIOUS LOCATION: Page 2 of 10 E000203 SES-LIC-20000424-00670 SABIL UPLINK COMMUNICATIONS, LLC Application for Authority 06/16/2000 - 06/16/2010 Date Effective: 06/16/2000 Class of Station: Temporary Fixed Earth Station Grant of Authority Nature of Service:Domestic Fixed Satellite Service SITE ID: 1 VARIOUS LOCATION: E000188 SES-LIC-20000425-00642 CBS COMMUNICATION SERVICES, INC. Application for Authority 06/16/2000 - 06/16/2010 Date Effective: 06/16/2000
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- Network Systems did not submit a map or maps drawn to appropriate scale and in a form suitable for reproduction indicating the location of the proposed station and the great circle coordination distance and the rain scatter coordination distance contours location, as required under Section 25.203(b) of the Commission's Rules. Accordingly, the above-referenced application is hereby dismissed pursuant to Section 25.112(a)(2) of the Commission's Rules. SITE ID: LONG ISLAND REMOTE 2 45 OSER AVENUE, SUFFOLK, HAUPPAUGE, NY LOCATION: E000351 SES-LIC-20000706-01120 HUGHES NETWORK SYSTEMS Application for Authority Date Effective: 02/01/2001 Class of Station: Fixed Earth Stations Dismissed by Delegated Authority Nature of Service:International Fixed Satellite Service An examination of the above-referenced application finds that Hughes Network Systems did not submit a map
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- 02/14/2011 Date Effective: 02/14/2001 Class of Station: Temporary Fixed Earth Station Grant of Authority Nature of Service:Domestic Fixed Satellite Service SITE ID: 1 VARIOUS LOCATION: E000728 SES-LIC-20001212-02316 PANAMSAT CORPORATION Application for Authority Date Effective: 02/13/2001 Class of Station: Fixed Earth Stations Dismissed by Delegated Authority Nature of Service:Fixed Satellite Service Application is unacceptable for filing pursuant to 47 CFR Section 25.112(a)(2) and IS HEREBY DISMISSED. SITE ID: Filmore 33 Telegraph Road, Ventura, Filmore, CA LOCATION: Page 2 of 9 E010001 SES-LIC-20001220-02401 CONNECTION COMMUNICATIONS ASSOCIATION, INC. Application for Authority 02/14/2001 - 02/14/2011 Date Effective: 02/14/2001 Class of Station: Fixed Earth Stations Grant of Authority Nature of Service:Domestic Fixed Satellite Service SITE ID: 1 4001 OSUNA NE, BERNALILLO, ALBURQUERQUE, NM LOCATION: E890143 SES-LIC-20001222-02377
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- W Longitude) of the two new 11.3-meter antennas do not fall within one second of the geographic coordinates (33 59 01 N Latitude and 118 25 26.0 W Longitude) stated in the current license. Thus, DIRECTV Enterprises, Inc. would have to file a new application for the two new antennas. Accordingly, the above-referenced application is hereby dismissed pursuant to Section 25.112(a)(2) of the Commission's Rules. SITE ID: 1 12800 CULVER BLVD., LOS ANGELES, LOS ANGELES, CA LOCATION: E880327 SES-MOD-20010302-00418 VIACOM, INC. Application for Modification 02/19/1998 - 02/19/2008 Date Effective: 04/23/2001 Class of Station: Temporary Fixed Earth Station Grant of Authority Nature of Service:Domestic Fixed Satellite Service, International Fixed Satellite Service SITE ID: 1 CONUS LOCATION: E2964 SES-RWL-20010322-00610 MEDIACOM SOUTHEAST LLC Renewal
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- Service:Domestic Fixed Satellite Service SITE ID: HUB 460 Herndon Parkway, Fairfax, Herndon, VA LOCATION: SITE ID: REMOTE CONUS (15 UNITS) LOCATION: E010062 SES-LIC-20010301-00445 CHAMPION TELEPORT, INC. Application for Authority Date Effective: 04/27/2001 Class of Station: Fixed Earth Stations Dismissed by Delegated Authority Nature of Service:Domestic Fixed Satellite Service APPLICATION DISMISSED THIS DAY FOR GROSS INCONSISTENCIES IN THE SUBMITTED DATA PER 25.112(A)(1). SITE ID: 1 66 HAWLEY ROAD, NEW HAVEN, OXFORD, CT LOCATION: E860326 SES-MOD-20001214-02361 SPACENET SERVICES LICENSE SUB, INC. Application for Modification 08/22/1997 - 08/22/2007 Date Effective: 04/27/2001 Class of Station: VSAT Fixed Hub Station Grant of Authority Nature of Service:Domestic Fixed Satellite Service, International Fixed Satellite Service SITE ID: 1 1750 OLD MEADOW ROAD, FAIRFAX, MCLEAN, VA LOCATION: SITE ID:
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- Satellite Service An examination of the above-referenced application finds that the proposed satellites HISPASAT and Brasilsat @ 65 degrees W.L. are not within the authorized satellite arc and the proposed EIRP and EIRP density of each emission does not comply with the Section 25.204(f) of the Commission's rules. Accordingly, the above-referenced application is hereby dismissed without prejudice pursuant to Section 25.112(a)(2) of the Commission's Rules. SITE ID: 1 7007 SW 32ND STREET, DADE, MIAMI, FL LOCATION: E970335 SES-MOD-20001031-02080 COMBINED COMMUNICATIONS CORPORATION OF OKLAHOMA, INC. Application for Modification 08/01/1997 - 08/01/2007 Date Effective: 05/29/2001 Class of Station: Temporary Fixed Earth Station Grant of Authority Nature of Service:Domestic Fixed Satellite Service SITE ID: 1 VARIOUS LOCATIONS LOCATION: E910351 SES-RWL-20010510-00918 COSMOS BROADCASTING CORPORATION Renewal
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- Grant of Authority FROM: Current Licensee: Robert N Smith, Trustee Smith Broadcasting of Vermont, LLC Dismissal E940531 SES-AMD-20010525-00967 VERESTAR, INC. This application is hereby dismissed per applicant's letter request on 5/14/02. E940531 SES-AMD-20010919-01736 VERESTAR, INC. This application is hereby dismissed per applicant's letter request on 5/14/02. E020011 SES-LIC-20020114-00025 Parker Drilling, Co. This application is dismissed without prejudice pursuant to Section 25.112(a)(1) of the Commission's Rules. E940531 SES-MOD-20001206-02380 VERESTAR, INC. This application is hereby dismissed per applicant's letter request on 5/14/02. KA244 SES-MOD-20010319-00529 PANAMSAT LICENSEE CORP. The application file number is replaced by the new file number, SES-MOD-20010319-01110. Therefore, this file number, SES-MOD-20010319-00529, is hereby dismissed. Also, see the correction section in the accepted public notice on May 22, 2002. E920357 SES-RWL-20020508-00775
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- dismissed per applicant's request, see letter dated September 9, 2002. KA322 SES-MOD-20010619-01155 VERESTAR, INC. This application is hereby dismissed per applicant's request, see letter dated September 9, 2002. E990452 SES-MOD-20020304-00689 USAsia Telecom, LLC USAsia Telecom, LLC did not respond to the Commission's July 25, 2002 letter requesting additional information. Accordingly, the above referenced application is hereby dismissed pursuant to Section 25.112(C) of the Commission's Rules. Page 23 of 24 For more information concerning this Notice, contact the Satellite and Radiocommunication Division at 418-0719; TTY 202-418-2555. INFORMATIVE E940347 SES-LIC-19940527-01316 Arch Wireless Holdings, Inc. ( d/b/a Arch Wireless ) Licensee has surrendered license, per letter dated September 9, 2002. E960050 SES-LIC-19951011-00315 NORTHSTAR Licensee has changed name only, per letter dated September 17, 2002.
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- LLP 1001 G Street NW Suite 500 West Washington, D.C. 20001 Re: Application of Exxon Communications Company (Exxon) to operate 13 Inmarsat B satellite mobile terminals (METs) in the United States. Dear Mr. Black: An examination of the above referenced application finds that this application is unacceptable for filing. Accordingly, the above referenced application is hereby returned pursuant to Section 25.112(a)(1) of the Commission's Rules. If Exxon wishes to refile the above referenced application, please provide the following information: 1. The response to item 22, Main form, FCC Form 312 is "Using U.S. licensed satellites". Please specify the name and orbital location of the proposed satellite in item B2, Schedule B, FCC Form 312. Please note that If Exxon wishes to
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- For more information concerning this Notice, contact the Satellite and Radiocommunication Division at 418-0719; TTY 202-418-2555. Dismissal An examination of the above referenced application finds that CSC did not respond to the numerous requests from the FCC staff for additional information regarding the shielding of the antenna. Accordingly, the above referenced application is hereby dismissed without prejudice pursuant to Section 25.112(C) of the Commission's Rules. Page 26 of 26
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- Current Licensee: Univision Communications Inc. HBC License Corporation Application for Consent to Transfer of Control Dismissal E030113 SES-LIC-20030513-00644 INTEROP JOINT VENTURE An examination of the above referenced application finds that Interop Joint Venture did not provide additional information that we requested in the June 13, 2003, letter. Accordingly, the above referenced application is hereby dismissed without prejudice, pursuant to Section 25.112(C) of the Commission's Rules. Page 20 of 21 For more information concerning this Notice, contact the Satellite and Radiocommunication Division at 418-0719; TTY 202-418-2555. Dismissal E030213 SES-LIC-20030913-01336 Jason A Talon ( d/b/a Hobby ) This application is unacceptable as filed, due to lack of required information in order to process. Therefore, this application is being dismissed per Commission Action. INFORMATIVE
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- - ALSAT - (ALSAT) Page 28 of 30 Dismissal E030129 SES-MOD-20031029-01520 WilTel Communications, LLC. In its application, WilTel does not submit all of the technical information required by Sections 25.114 (c)(5), (c)(8), (c)(10), (c)(12), (c)(17) of the Commission's rules, 47 C.F.R. 25.114. Consequently, the application is defective under Section 25.114(b) of the rules and must be returned pursuant to Section 25.112 (a). E930304 SES-STA-20031006-01423 DIRECTV Enterprises, LLC STA is dismissed as moot, due to modification application was granted on January 22, 2004. INFORMATIVE E950030 SES-LIC-19941031-00367 Gray Television Licensee, Inc. Licensee has changed name, per letter dated January 5, 2004. E960408 SES-LIC-19960624-00936 Gray Television Licensee, Inc. Licensee has changed name, per letter dated January 5, 2004. E960407 SES-LIC-19960624-00938 Gray Television Licensee, Inc.
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- of Control Dismissal SES-LIC-20040722-01033 Entravision Holdings, LLC Page 18 of 19 For more information concerning this Notice, contact the Satellite and Radiocommunication Division at 418-0719; TTY 202-418-2555. Dismissal This application is being Dismissed and Returned without Action, due to the incomplete filing of FCC Form 312 - Schedule B:(Technical and Operational Description). Pursuant to the Commission's Rule 47 CFR Section 25.112(a)(1)(2) for incompleteness. E940278 SES-STA-20040723-01036 Freebird Communications Inc. STA has been dimissed. Underlying renewal application (SES-RWL-20040723-01035) has been granted. INFORMATIVE E940502 SES-REG-19940919-00635 CC VIII OPERATING, LLC Licensee has surrendered license, per letter dated June 25, 2004. E940505 SES-REG-19940919-00637 CC VIII OPERATING, LLC Licensee has surrendered license, per letter dated June 25, 2004. E000703 SES-REG-20001128-02242 CLEARLINK COMMUNICATION, L.L.C.. Licensee has surrendered license,
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- Fixed Satellite Service Points of Communication: CORRECTIONS E960132 SES-STA-20040524-00716 Iridium Carrier Services LLC STA was inadvertently granted on 9-9-04 and placed on the actions taken public notice dated 9-29-09. This STA has returned to pending status. Dismissal E030266 SES-AMD-20031223-01873 Globalstar LLC This Amendment is hereby being Dismiss for reason stated below. Consequently, we find your application is defective, under Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. Section 25.112, and is dismissed without prejudice to refiling. E030266 SES-LIC-20031030-01524 Globalstar, L.P. This License is hereby being dismiss for reason stated below. Consequently, we find your application is defective under Section 25.112(a)(2) of the Commission's rules, 47 C.F.R. Section 25.112, and is dismissed without prejudice to refiling per letter dated November 19, 2004.
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- FROM: Current Licensee: News Corporation DIRECTV Enterprises, LLC Application for Consent to Transfer of Control News Corporation Dismissal E040441 SES-LIC-20041116-01687 FARLINK SATELLITE SERVICES, INC. We dismissed your C-band Transportable Earth Station on January 14, 2005, without prejudice to refiling, due to delinquent payment of debts identified in the (Red Light Letter). E040446 SES-LIC-20041130-01757 Newcom International Application dismissed, pursuant to Section 25.112(a)(1) of the Commission's Rules, for failrue to provide complete answers and for providing inconsistent responses, the application is dismissed. SES-STA-20041007-01501 WB Holdings 1 LLC WB Holdings 1 LLC, hereby withdraws its request for Special Temporary Authorization, as WB has abandoned the underlying transaction. SES-STA-20041007-01502 WB Holdings 1 LLC WB Holdings 1 LLC, hereby withdraws its request for Special Temporary Authorization,
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- Date Effective: 01/27/2005 TO: No. of Station(s) listed:2 Intelsat, Ltd. Grant of Authority FROM: Current Licensee: Zeus Holdings Limited INTELSAT LLC Application for Consent to Transfer of Control Intelsat LLC See ORDER AND AUTHORIZATION, IB Docket No. 04-366, DA 04-4034, released December 22, 2004. Dismissal E940225 SES-LIC-20050118-00072 World Radio Network, Inc. Application dismissed without prejudice to refiling, pursuant to Section 25.112(a)(1) of the Commission's Rules, for failure to provide a Radiation Hazard Study. INFORMATIVE E980372 SES-MOD-19990408-00569 SPACELINK INTERNATIONAL, LLC. Page 40 of 41 For more information concerning this Notice, contact the Satellite and Radiocommunication Division at 418-0719; TTY 202-418-2555. INFORMATIVE Licensee has surrendered license, per letter dated January 24, 2005. E980373 SES-MOD-19990408-00570 SPACELINK INTERNATIONAL, LLC. Licensee has surrendered license, per letter
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- contact the Satellite and Radiocommunication Division at 418-0719; TTY 202-418-2555. 1 - INTELSAT AOR - (335.5 E.L.) 1 - INTELSAT AOR - (338.7 E.L.) 1 - INTELSAT AOR - (342.0 E.L.) 1 - New Skies 806 - (319.5 E.L.) 1 - NSS-5 - (183 E.L.) Dismissal SES-REG-20050114-00120 Barrow Cable TV, Inc. Application dismissed without prejudice to refiling, pursuant to Section 25.112(a)(1) of the Commission's Rules, for failure to provide a Frequency Coordination and Interference Analysis Report. In addition, as of November 5, 2004, all filings on FCC Form 312 must be submitted electronically. Page 34 of 34
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- BURBANK, CA 118 19 ' 51.00 " W LONG. LOCATION: MICRODYNE CORP. 1 7 meters ANTENNA ID: PR-23 3700.0000 - 4200.0000 MHz 36000F9 SIMULSAT 7 2 7 meters ANTENNA ID: 3700.0000 - 4200.0000 MHz 36000F9 Points of Communication: 1 - ALSAT - (ALSAT) Dismissal E940225 SES-LIC-20050207-00155 World Radio Network, Inc. Application dismissed without prejudice to refiling, pursuant to Section 25.112(a)(1) of the Commission's Rules, for failure to provide a Radiation Hazard Study. SES-REG-20050204-00147 BARROW CABLE TV, INC. Application dismissed without prejudice to refiling, pursuant to Section 25.112(a)(1) of the Commission's Rules, for failure to provide complete answers. E040383 SES-STA-20041221-01861 Terremark Worldwide Incorporated STA is dismiss as moot, due to mod application is granted on February 8, 2005, see file no.
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- Communication: 1 - ALSAT - (ALSAT) Dismissal E960132 SES-AMD-20040707-00955 Iridium Satellite LLC Application has been dismissed per Letter to Applicant dated and released February 22, 2005, DA 05-458. Page 7 of 8 For more information concerning this Notice, contact the Satellite and Radiocommunication Division at 418-0719; TTY 202-418-2555. Dismissal E040325 SES-LIC-20040804-01090 ARTEL, Inc. This application is dismissed, pursuant to Section 25.112(a)(1) of the Commission's Rules, 47 C.F.R. 25.112(a)(1) without prejudice to refiling. E960132 SES-MOD-20040625-00884 Iridium Satellite LLC Application has been dismissed per Letter to Applicant dated and released February 22, 2005, DA 05-458. E960622 SES-MOD-20041115-01684 Iridium Carrier Services LLC Application has been dismissed per Letter to Applicant dated and released February 22, 2005, DA 05-458. INFORMATIVE E950259 SES-LIC-19950321-01253 ADVANCE STORES COMPANY,
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- to some finer points (e.g., when an antenna radiation pattern must be filed with an earth station application to be acceptable for filing). SAMPLE FAQ If an application does not substantially comply with the Commission rules, should a waiver request be included to ensure that the application will be accepted for filing and placed on public notice? Yes. Specifically, Section 25.112(b) of the Commission's rules provides that defective applications may be accepted for filing if: The application is accompanied by a request which sets forth thereasons in support of a waiver of (or an exception to), in whole or in part, any specific rule, regulation, or requirement with which the application is in conflict. The waiver request, however, must comply with
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- INTELSAT 709 satellite in the 11.7-11.95 GHz frequency band. Specifically, Intelsat seeks authority to allow a non-conforming use of the 11.7-11.95 GHz frequency band in International Telecommunication Union (ITU) Regions 1 and 3 to provide fixed-satellite service on a non-harmful interference basis, in order to support U.S. Government operations in the Middle East. Intelsat requests that the Commission waive Sections 25.112(a)(3) and 2.106 (Table of Frequency Allocations) of its rules to permit non-conforming use of the 11.7-11.95 GHz frequency band. Additionally, Intelsat requests a waiver of Section 25.140(b)(2) of the Commission's rules. KS35 SAT-MOD-20061003-00116E Modification 10/03/2006 10:18:25:01600 Date Filed: Intelsat North America LLC Page 1 of 2 For more information concerning this Notice, contact the Satellite Division at 202-418-0719; TTY 202-418-2555.
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- E000160 SES-T/C-20061128-02052E Date Effective: 02/08/2007 TO: No. of Station(s) listed:17 IMPSAT FIBER NETWORKS, INC. Grant of Authority FROM: Current Licensee: Global Crossing Limitd Impsat USA, Inc. Application for Consent to Transfer of Control Impsat USA, Inc. See Public Notice WC Docket No. 06-21, DA 07-606, released February 8, 2007. Dismissal E070019 SES-LIC-20070130-00171 Alpha-Broadcasting-Inc. Application has been dismissed pursuant to Section 25.112 of the Commission's rules. Page 9 of 9
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- Communication: E070139 SES-STA-20070730-01003 E Date Effective: 07/31/2007 Class of Station: Grant of Authority Special Temporary Authority Intelsat LLC Special Temporary Authority is GRANTED for a period of 30 days beginning August 1, 2007 and ending August 30, 2007. Points of Communication: Dismissal E040456 SES-MFS-20070719-00966 HDTV.LTD HDTV LTD, modification application is dismissed without prejudice as defective, pursuant to 47 C.F.R. section 25.112 of the Commission's rules. See DA 07-3424, released July 27, 2007. WB36 SES-STA-20070725-00983 Telenor Satellite, Inc. Telenor Satellite, Inc. request for special temporary authority is MOOT, due to the underlying license application is granted. See File No. SES-MOD-2007031600368. KA313 SES-STA-20070725-00985 Telenor Satellite, Inc. Telenor Satellite, Inc. request for special temporary authority is moot, due to underlying modification application is granted.
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- its current authorization to add SkyTerra-2 satellite as a point of communications. With regard to its request to communicate with the SkyTerra-2 satellite, GeoLogic's application is incomplete, which renders that portion unacceptable and is without prejudice dismissed. E980179 SES-AMD-20081210-01590 SkyTerra Subsidiary LLC SkyTerra Subsidiary LLC 's (SkyTerra) modification and amendment applications are dismissed without prejudice as defective, pursuant to section 25.112 of the Commission's rules. See dismissal ltr DA 09-766, rel April 3, 2009. E900081 SES-MFS-20090313-00302 GeoLogic Solutions, Inc. On March 13, 2009, GeoLogic Solutions, Inc. (GeoLogic) filed an application to modify its current authorization to add SkyTerra-2 satellite as a point of communications. With regard to its request to communicate with the SkyTerra-2 satellite, GeoLogic's application is incomplete, which renders
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- General Finance, Inc. Dismissal E990019 SES-MFS-20090106-00002 American Samoa License, Inc. Appliclation has been partially dismissed per letter dated April 10, 2009, DA 09-818. E990294 SES-MOD-20090317-00336 SPACENET SERVICES LICENSE SUB, INC. On March 17, 2009, Spacenet Services License Sub, Inc. (Spacenet) request to modify its current authorization to add three 1.2 meter antennas operating in the conventional Ku-band. Pursuant to Section 25.112(a)(1) of the Commission's rules, we dismiss, without prejudice to refiling, that portion of the application that seeks to use the emission 300KG7D. See partial dismissal letter DA 09-809, released April 9, 2009. Page 27 of 27
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- Grant of Authority Special Temporary Authority Lockheed Martin Corporation Special temporary authority is GRANTED with condition for a period of 30 days. Points of Communication: Dismissal E090153 SES-LFS-20090830-01092 Alpha-Broadcasting-Inc. Alpha Broadcasting, Inc. earth station license application to operate in the fixed satellite sevice in the C and Ku band is dismissed as defective without prejudice to refiling, pursuant to Section 25.112(a)(1) of the Commission's rules. See DA 09-2464, rel November 24, 2009. E090130 SES-LIC-20090723-00906 Uplynx Inc. Application is dismissed without prejudice as defective, see DA 09-2463, released November 24, 2009. E080145 SES-MOD-20090818-01024 HARRIS CORPORATION Harris Corporation (Harris) modification application are dismissed without prejudice as defective, pursuant to Section 25.112 of the Commission's rules. See dismissal letter DA 09-2465, rel November 24,
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- 501, et seq. See footnote 8, supra. 5 U.S.C. 552a; see Privacy Act System of Records, 65 Fed. Reg. 18103 (Apr. 6, 2000) (CORES); see also Privacy Act System of Records, 65 Fed. Reg. 18105 (Apr. 6, 2000) (RAMIS). 47 C.F.R. 1.1109, 1.1112, 1.1116. 47 C.F.R. 1.1157, 1.1164. 47 C.F.R. 1.764. E.g., 47 C.F.R. 5.65(a); 25.112(a)(1); 25.527; 73.3564(a)(1); and 78.20(a). Compare 47 C.F.R. 1.1113 with 47 C.F.R. 1.1108. See 47 C.F.R. 61.13, et seq. (tariff publications filed electronically through ETFS); 47 C.F.R. 61.1, et seq. (publications filed on paper or diskette). See 47 U.S.C. 203(b) (maximum 120 days notice), 204(a)(3) (seven or fifteen days' notice for local exchange carriers), and 226(h)(1)(A)
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- and dismissal of its application. PART 25 -- SATELLITE COMMUNICATIONS 3. The authority citation for Part 25 continues to read as follows: Authority: 47 U.S.C. 701-744. Interprets or applies Sections 4, 301, 302, 303, 307, 309, and 332 of the Communications Act, as amended, 47 U.S.C. Sections 154, 301, 302, 303, 307, 309, 332, unless otherwise noted. 4. Amend 25.112 by adding paragraph (a)(3) and revising the introductory language in paragraph (b) to read as follows: 25.112 Defective applications. (a) * * * (3) The application requests authority to operate a space station in a frequency band that is not allocated internationally for such operations under the Radio Regulations of the International Telecommunication Union. (b) Applications for space station
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- and dismissal of its application. PART 25 -- SATELLITE COMMUNICATIONS 3. The authority citation for Part 25 continues to read as follows: Authority: 47 U.S.C. 701-744. Interprets or applies Sections 4, 301, 302, 303, 307, 309, and 332 of the Communications Act, as amended, 47 U.S.C. Sections 154, 301, 302, 303, 307, 309, 332, unless otherwise noted. 4. Amend 25.112 by adding paragraph (a)(3) and revising the introductory language in paragraph (b) to read as follows: 25.112 Defective applications. (a) * * * (3) The application requests authority to operate a space station in a frequency band that is not allocated internationally for such operations under the Radio Regulations of the International Telecommunication Union. (b) Applications for space station
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- for a full-power offset space station at 76 W.L., Applicant B will have an additional opportunity to amend its application. In the amendment, Applicant B may either request assignment to the 75 W.L. Appendix F orbital location from which it sought to be offset or may remain at 76 W.L. with reduced power and reduced interference protection. 47 C.F.R. 25.112(a)(2). In the unlikely event an applicant seeks to operate at an offset orbital location exactly halfway between two Appendix F locations, it must designate the Appendix F location from which it seeks to offset. Thus, if Applicant A seeks to operate at 77 W.L., it must specify whether it is offset from the 75 W.L. or 79 W.L. Appendix F
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-07-76A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-07-76A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-07-76A1.txt
- enter into a binding, non-contingent construction contract within one year of grant; complete critical design review within two years; begin construction within three years; and launch and operate the satellite within five years of grant. 47 C.F.R. 25.165. 47 C.F.R. 25.159. See First Space Station Licensing Reform Order, 18 FCC Rcd at 10846-51, paras. 228-39. 47 C.F.R. 25.112. 47 C.F.R. 25.158(c). See First Space Station Licensing Reform Order, 18 FCC Rcd at 10851-52, paras. 241-43. 17/24 GHz BSS NPRM, 21 FCC Rcd at 7433, para 10. 17/24 GHz BSS NPRM, 21 FCC Rcd at 7433, para 10. Intelsat Comments at 6, DIRECTV Comments at 17. See also SES Americom Comments at 24 (generally concurring on the use
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-93A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-93A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-93A1.txt
- 118.9 W.L.; DIRECTV 7S (S2455) at 119.05 W.L.; and Ciel-2 (See File No. SES-MFS-20080926-01242) at 128.85 W.L. For complete information, see IBFS. EchoStar EX-1 (S2441) was licensed to operate at 110.4 W.L. See supra n. 23 explaining that EchoStar submitted a letter on May 24, 2011 surrendering its 17/24 GHz BSS authorizations. . See supra 20-31. 47 C.F.R. 25.112(a)(2). See Amendment of the Commission's Space Station Licensing Rules and Policies and Mitigation of Orbital Debris, First Report and Order and Further Notice of Proposed Rulemaking in IB Docket No. 02-34, and First Report and Order in IB Docket No. 02-54, IB Docket Nos. 02-34 and 02-54, 18 FCC Rcd 10760, 10852, 244 (2003) (``First Space Station Licensing Reform
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-93A1_Rcd.pdf
- very close proximity to in-orbit DBS space stations located at the 119 W.L. DBS cluster. e.g., EchoStar 14 (S2790) which is operating at 118.9 W.L. EchoStar 7 (S2740) is currently operating at 118.8 W.L. under a 180-day STA, SAT-STA-20110204- 00024, commencing March 10, 2011.See alsoEchoStar 7's pending modification, IBFS File No. SAT-MOD- 20100329-00058. 173See supra 20-31. 17447 C.F.R. 25.112(a)(2). 175See Amendment of the Commission's Space Station Licensing Rules and Policies and Mitigation of Orbital Debris, First Report and Order and Further Notice of Proposed Rulemaking in IB Docket No. 02-34, and First Report and Order in IB Docket No. 02-54, IB Docket Nos. 02-34 and 02-54, 18 FCC Rcd 10760, 10852, 244 (2003) ("First Space Station Licensing Reform
- http://wireless.fcc.gov/auctions/15/releases/fc970070.pdf http://wireless.fcc.gov/auctions/15/releases/fc970070.txt http://wireless.fcc.gov/auctions/15/releases/fc970070.wp
- Contents for Part 25 is revised to read as follows: PART 25 - SATELLITE COMMUNICATIONS Subpart A - General Sec. 25.101 Basis and Scope. 25.102 Station authorization required. 25.103 Definitions. 25.104 Preemption of local zoning of earth stations. 25.105-25.108 [Reserved] 25.109 Cross-reference. Subpart B - Applications and Licenses 25.110 Filing of applications, fees, and number of copies. 25.111 Additional information. 25.112 Defective applications. 25.113 Construction permits. 25.114 Applications for space station authorizations. 25.115 Applications for earth station authorizations. 25.116 Amendments to applications. 25.117 Modification of station license. 25.118 Assignment or transfer of control of station authorization. 25.119 Application for special temporary authorization. 25.120 License term and renewals. EARTH STATIONS 25.130 Filing requirements for transmitting earth stations. 25.131 Filing requirements for receive-only
- http://www.fcc.gov/Bureaus/International/Public_Notices/1998/pnin8266.pdf
- Service:Domestic Fixed Satellite Service License has been surrendered, per letter dated October 8, 1998. LOCATION: SITE ID: 1 955 Dublin Road, SAN DIEGO, SAN YSIDRO, CA E970367 Class of Station: Fixed Earth Stations Dismissed by Delegated Authority SES-LIC-19970703-00917 UNIVERSAL SPACENET, INC. Application for Authority Date Effective: 11/06/1998 Nature of Service:Earth Exploration Satellite Service Application is hereby dismissal pursuant to Section 25.112(c) of the Commission's rules. LOCATION: SITE ID: 1 FAIRBANKS, AK E980224 Class of Station: Temporary Fixed Earth Station Grant of Authority SES-LIC-19980424-00489 MOBILE UPLINK, INC. Application for Authority Date Effective: 11/06/1998 Nature of Service:Domestic Fixed Satellite Service, International Fixed Satellite Service LOCATION: SITE ID: 1 E980335 Class of Station: Fixed Earth Stations Grant of Authority SES-LIC-19980724-00968 DIVERSIFIED COMMUNICATIONS, INC. Application
- http://www.fcc.gov/Bureaus/International/Public_Notices/1999/pnin9006.pdf
- has been surrendered, per letter dated September 29, 1998. LOCATION: SITE ID: 1 3424 Wilshire Boulevard, LOS ANGELES, LOS ANGELES, CA E859956 Class of Station: Fixed Earth Stations Dismissed by Delegated Authority SES-MOD-19980402-00359 CORPORATE SATELLITE COMMUNICATIONS, INC. Application for Modification Date Effective: 01/08/1999 Nature of Service:Domestic Fixed Satellite Service, International Fixed Satellite Service Application is hereby dismissal pursuant to Section 25.112(c) of the Commission's rules. LOCATION: SITE ID: 1 7007 NW 32nd Avenue, DADE, MIAMI, FL E2279 Class of Station: Fixed Earth Stations Grant of Authority SES-MOD-19980909-01167 ALASCOM, INC./UNITED UTILITIES, INC. Application for Modification Date Effective: 01/06/1999 Nature of Service:Domestic Fixed Satellite Service LOCATION: SITE ID: 1 HOOPER BAY, AK E881120 Class of Station: Temporary Fixed Earth Station Grant of Authority
- http://www.fcc.gov/Bureaus/International/Public_Notices/2000/pnin0084.pdf
- RD, 0.7 MI WEST OF NASHVILLE HY, RUTHERFORD, SMYRNA, TN LOCATION: Page 5 of 12 E930142 SES-MOD-19991117-02337 BOARD OF TRUSTEES FOR THE UNIVERSITY OF ARKANSAS, DIV. OF CONTINUING EDUCATION Date Effective: 03/30/2000 Class of Station: Dismissed by Commission Order Temporary Fixed Earth Station Application for Modification 03/26/1993 - 03/26/2003 Nature of Service:Domestic Fixed Satellite Service Application has been dimissed per 25.112(a)(2). SITE ID: 1 VARIOUS LOCATION: E940207 SES-MOD-19991216-02183 INDIANA HIGHER EDUCATION TELECOMMUNICATION SYSTEM Date Effective: 04/03/2000 Class of Station: Grant of Authority Fixed Earth Stations Application for Modification 04/22/1994 - 04/22/2004 Nature of Service:Domestic Fixed Satellite Service "MOD" to relocate their existing Ku-band transmit/receive earth station to a new site. SITE ID: 1 220 DEAN JOHNSON ROAD, SAINT JOSEPH, SOUTH BEND,
- http://www.fcc.gov/Bureaus/International/Public_Notices/2000/pnin0230.pdf
- Fixed Earth Stations Dismissed by Delegated Authority Nature of Service:Domestic Fixed Satellite Service, International Fixed Satellite Service An examination of the above-referenced application finds that MCI Worldcom Network Services, Inc. did not submit a frequency coordination study for the new location as required under Section 25.203 of the Commission's Rules. Accordingly, the above-referenced application is hereby dismissed pursuant t Section 25.112(a)(2) of the Commission's Rules. SITE ID: 1 6A LAKE HERMAN RD., SOLANO, VALLEJO, CA LOCATION: E000374 SES-REG-20000728-01246 FOX BROADCASTING CORPORATION Registration 07/28/2000 - 07/28/2010 Date Effective: 09/27/2000 Class of Station: Fixed Earth Stations Grant of Authority Nature of Service:Domestic Fixed Satellite Service SITE ID: 1 4600 VESTAL PARKWAY EAST, BROOME, BINGHAMTON, NY LOCATION: E000380 SES-REG-20000728-01251 FOX BROADCASTING CORPORATION Registration 07/28/2000